AMC/ TRUSTEE COMPANY..

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1 FORMATS Placed below are all the formats prescribed by SEBI, standardizing disclosure by the AMC to unitholders as well as reporting to SEBI. Please note that, as a compliance of SEBI Regulations is a continuous process, you are advised to incorporate the modifications/additions under the relevant sections of the format, based on amendments to the Regulations/guidelines issued in the future from time to time.

2 INDEX 1. FORMAT OF BIO DATA. 4 A. BIO-DATA OF DIRECTOR OF AMC/ TRUSTEE COMPANY.. 5 B. BIO-DATA OF KEY PERSONNEL REPORTS. 11 A. NEW SCHEME REPORT 12 B. COMPLIANCE TEST REPORT 16 C. HALF YEARLY TRUSTEE REPORT. 36 D. MONTHLY CUMULATIVE REPORT (Additional Reporting format on the overseas investment by Mutual Funds in ADRs/ GDRs, foreign securities and overseas Exchange Traded Funds (ETFs)) 41 E. ANNUAL STATISTICAL REPORT.. 43 F. DAILY TRANSACTION REPORT 44 G. PORTFOLIO FORMAT FOR DEBT ORIENTED CLOSE ENDED AND INTERVAL SCHEMES/ PLANS 47 H. REPORT TO TRUSTEES BY AMC FINANCIALS 53 A. FORMAT FOR HALF YEARLY DISCLOSURE OF UNAUDITED FINANCIAL RESULTS. 54 B. ABRIDGED SCHEME-WISE ANNUAL REPORT FORMAT 58 C. HALF YEARLY PORTFOLIO DISCLOSURE APPLICATION FOR OVERSEAS INVESTMENTS STANDARD OFFER DOCUMENT 77 A. SCHEME INFORMATION DOCUMENT (SID) 78 B. STATEMENT OF ADDITIONAL INFORMATION (SAI).. 95 C. KEY INFORMATION MEMORANDUM (KIM) STANDARD OBSERVATIONS A. STANDARD OBSERVATIONS FOR SCHEME 2

3 INFORMATION DOCUMENT (SID) 105 B. STANDARD OBSERVATIONS FOR STATEMENT OF ADDITIONAL INFORMATION (SAI) BROKERAGE AND COMMISSION PAID TO ASSOCIATES ROLE OF MUTUAL FUNDS IN CORPORATE GOVERNANCE 112 OF PUBLIC LISTED COMPANIES.. 9. DISCLOSURE OF INVESTOR COMPLAINTS WITH RESPECT 114 TO MUTUAL FUNDS 10. FORMAT FOR DAILY DATA ON QFI INVESTMENT IN 118 MUTUAL FUNDS 11. FORMAT FOR REPORTING OF ALL TRANSACTION IN DEBT 120 AND MONEY MARKET SECURITIES 3

4 1. FORMAT OF BIO DATA 1. BIO-DATA OF DIRECTOR OF AMC/ TRUSTEE COMPANY 2. BIO-DATA OF KEY PERSONNEL 4

5 A. BIO-DATA OF DIRECTOR OF AMC/ TRUSTEE COMPANY 1 Identification: 1. Name: 2. Father s name: 3. Date of birth: 4. Sex (Please tick): Male/Female 5. Present residential address: 6. Permanent address: 7. Appointment as Director of (Please tick): AMC / Trustee Co. Educational Qualifications: Experience (During last 10 years): Name & Place of Organization Position held Nature of job responsibilities Period From To If retired more than 10 years back, please indicate last position held. For AMC directors, details of professional experience in finance and financial services field [Reg. 21(b)]: Particulars of Present Directorship and Trusteeship: Organisation Name Any association with the sponsor Position held Nature of job responsibilities Period From To Relationship with Sponsor or AMC: 1. Are you associated with the sponsors or with any of its associate companies in any manner during the last 3 years? 1 MFD/CIR /11/354/2001 dated 20/12/2001 & MFD/CIR/13/16799/2002 dated 29/8/2002 5

6 2. Are you relative of sponsor or any of the directors of the sponsor company or relative of associate directors of the AMC or the Trustee Company? 3. Do you have personal holding in AMC or are you a nominee of an entity having stake in AMC? 4. Have you been providing any professional service to the mutual fund, AMC, Trustee Company or Sponsor? 5. Do you have any pecuniary relationship with the mutual fund, AMC, Trustee Company or Sponsors? Record of Regulatory Violations/Criminal Offence (if any): 1. Have you ever been convicted by a court for any criminal offence or any other offence involving moral turpitude or fraud or have been found guilty of any economic offence at any time in the past? 2. Has any organization of which you were an employee or director or over which you exercise/exercised management or policy control ever been convicted of any criminal offence or any criminal suit filed during your association with them? 3. Have you ever been found guilty by any court / regulatory body / self-regulatory organization / stock exchange for any offence related to securities market in India or abroad? 4. Have you ever been associated with any organization as a director or an employee against which SEBI had initiated action of suspension or cancellation of certificate of registration or initiated action under Section 11(B) of SEBI Act or any prosecution launched for acts committed during your association? (If the answer to any of the above questions is in affirmative, please furnish details. Please disclose any such pending proceedings also). Other Details: Achievements, Awards, Publications, etc.: Declaration: I affirm that all the information given above is true and complete to the best of my knowledge and belief. I have been adequately briefed on my responsibilities and duties under SEBI (Mutual Funds) Regulations, 1996 and agree to abide by the same. Regarding the information contained within para VI and VII above, SEBI would be informed immediately on any changes. Signature: Name: (New/Proposed Director) Date: 6

7 Place: For Use of Trustees: 1. Mr. / Ms who is appointed / proposed to be appointed as a director of AMC/Trustee Co. is a person of ability, integrity and standing (Reg.16(2)(a). 2. In case of Chairman/ Director including independent director of AMC, he is not a trustee of any mutual fund (Reg. 16(3) and Reg. 21(1)(e) 3. In case of a Trustee, he is not on board of any other AMC or Trustee Co. of any mutual fund After his induction, the board would consist of the following members Member s name Status (associate / independent) (i) The trustees were discerning in the appointment of this director (Reg.18(25)(A)(I). (ii) The independent directors of the trustees and AMC have paid specific attention in the selection and nomination of this director (Reg. 18(27)(iii) and (v)). (iii) The director does not have any material pecuniary relationship with the mutual fund, AMC, Trustee Company or Sponsor which in the judgment of the Trustee may affect independence of Director (applicable in case of independent directors also.) 6. SEBI would immediately be informed on any changes pertaining to Para VI and VII in the Bio-Data and other requirements as specified in Regulations would be complied with. Signature: Name: (Trustee Authorized by the Board of Trustees) Date: Place: 2 SEBI/IMD/CIR No.14 /84243/07 dated January 15,

8 B. BIO-DATA OF KEY PERSONNEL 3 I. IDENTIFICATION 1. Name : 2. Fathers Name : 3. Date of Birth : 4. Sex : 5. Present Residential Address : 6. Permanent Residential Address : II. EDUCATIONAL QUALIFICATIONS : III. EMPLOYMENT DETAILS : a) Current Employer 1. Name of employer : 2. SEBI Regn. No. of employer : 3. Regd. Office of employer : 4. Address of office where employed : : b) Ten year history of employment starting with current employment NAME OF THE EMPLOYER DESCRIBE FUNCTIONS PRIMARY RESPONSI -BILITIES OTHER RESPONSIBI- LITIES REPORTING RELATIONSHIP 3 IIMARP/MF/CIR/05/788/97 dated April 28,

9 IV. OTHER BUSINESS 1. Brief Description of any other business, full time or part time in self name or in name of close relative (parent-spouse-child): 2. Details of business of close relatives: V. RECORD OF REGULATORY VIOLATIONS/CRIMINAL OFFENCE (IF ANY): (i) Have you ever been convicted by a court for any criminal offence? : Yes / No (ii) Have you ever been convicted by any court or authorised body for any offence related to the securities industry? : Yes / No (iii)have you or any organisation over which you exercised management or policy control ever been convicted of any criminal offence? : Yes / No (iv) Are there any proceedings against you or any organisation over which you exercised management or policy control? : Yes / No (v) Have you been accused of or convicted for any offence by a regulatory of the securities or financial industry, a self regulatory organisation, stock exchange in India or from any foreign country? : Yes / No (vi) If the answer to any of the following questions is yes, please furnish details. N.A. OATH OVER SIGNATURE I affirm that I have read and understood the items in this form and that my answers including attachments are true and complete to the best of my knowledge and belief. I understand that I may be subject to administrative, civil or criminal liabilities if I give false and misleading answers. Date: Signature of applicant 9

10 Name of the applicant (in block print) Certificate from the Employer The information provided by the applicant is currently true and complete to the best of our knowledge and belief. We have taken appropriate steps to verify the accuracy and completeness of the information contained in this application. I agree to update this form by causing an amendment to be filed on a timely basis whenever changes occur to answers previously reported. Further, to the extent that information previously given is not amended, the information provided in this form is currently accurate and complete. Date: Signature of appropriate signatory Name of appropriate signatory (in block letters) Name and Regn. No. of Organisation 10

11 2. REPORTS A. NEW SCHEME REPORT B. COMPLIANCE TEST REPORT C. HALF YEARLY TRUSTEE REPORT D. MONTHLY CUMULATIVE REPORT (Additional Reporting format on the overseas investment by Mutual Funds in ADRs/ GDRs, foreign securities and overseas Exchange Traded Funds (ETFs)) E. ANNUAL STATISTICAL REPORT F. DAILY TRANSACTION REPORT G. PORTFOLIO FORMAT FOR DEBT ORIENTED CLOSE ENDED AND INTERVAL SCHEMES/ PLANS H. REPORT TO TRUSTEES BY AMC 11

12 NAME OF THE MUTUAL FUND: SCHEME DETAILS: A. NEW SCHEME REPORT 4 A. Scheme Name : B. Scheme Type ( ) : Open Ended/Close Ended/Interval C. Date of Opening : D. Date of Closing of Scheme/ Initial Subscription Period/ Transaction Period : E. Maximum Subscription Amount acceptable as per Offer Document : F. Minimum Target Amount to be raised (Rs) : II SUBSCRIPTION / ALLOTMENT DETAILS 1. No. of applicants : Direct - Broker - 2. No. of applicants rejected & their total value (Rs): 3. NFO expenses incurred (Rs) : 4. Entry Load incurred (Rs) : 5. Subscription Received (Rs) : Direct - Broker - 6. Allotment Date : 7. Listing (Names of stock exchanges) : III DATE OF DESPATCH OF REFUND ORDERS (If subscription received is less than minimum target amount to be raised). IV UNIT HOLDING PATTERN Sr.No. Unit holding pattern No. of Unitholders No. of units held Holding as % of net asset Direct Broker Direct Broker Direct Broker 4 SEBI/ MFD/CIR/ 09/247/02 dated July 23, 2002, SEBI/ MFD/CIR/ 12/ /02 dated August 28,2002 & SEBI/IMD/CIR No. 13/118899/08 dated February 29,

13 1 Individuals 2 NRIs/OCBs 3 FIIs 4. Corporates/ Institutions/ Others TOTAL V (a) COMMUNICATION TO THE UNITHOLDERS Please confirm whether the number of investors holding more than 25% of the net assets of the scheme and total holdings by such investors in percentage terms have been communicated to all unit holders through allotment letters/ account statements : Yes/ No (b) DISTRIBUTION SCHEDULE If any unit holder is holding more than 25% of the net assets of the scheme, please give the following details. Sr.N o Name of the unit holder Classification (Individuals, NRIs/OCBs, FIIs, Corporate/Institutions/ Others) Addres s No. of units held Holding as % of net asset 1 2 TOTAL 13

14 VI GEOGRAPHICAL DISPERSION 1. Please list state wise geographical dispersion of unit holders in the following format: Sr.No Name of the State Mode of Entry No. of unit holders Amount mobilised as % of total assets mobilised 1 Direct Broker 2 Direct Broker Direct Broker TOTAL Direct Broker 2. Total number of cities from which subscriptions have been received: VII DETAILS OF TOP TEN AGENTS/DISTRIBUTORS Please list names of top ten agents/distributors in the descending order of commission paid in the following format: Sr.No Name of Agent/Distributors Amount mobilized in Rs. Cr. Commission paid Rs. Cr 1 2 TOTAL 14

15 Name and Signature of the Compliance Officer/Authorised Signatory: Date: Instructions 1. Broker implies broker/agent/distributor 2. Give all amounts in Rs.Crore 15

16 B. COMPLIANCE TEST REPORT 5 FOR THE BI-MONTH ENDED : Name of the Mutual Fund: Name of the Asset Management Company: Name of the Chief Compliance Officer: Compliance Tests for Mutual Funds regulated by SEBI under SEBI (Mutual Funds) Regulations, I. General Compliance Test II. Investment Compliance Test III. Investor Services Compliance Test Compliance Tests for Mutual Funds regulated by SEBI under SEBI (Mutual Funds) Regulations, Compliance Test for the bi-month ended. I. General Compliance Test S.N. Regulations Particulars Remarks (Indicate yes if complied with the Regulations and No for noncompliance) 5 MFD/CIR/5/360/2000 dated July, and SEBI/ IMD/CIR No. 11 /36222/2005 dated March 16,

17 1 subregulation 11 of regulation 18 2 Subregulation 27 of regulation 18 3 Clause (f) of subregulation 1 of regulation 21 4 Subregulation 1 of regulation 24 5 subregulation 2 of regulation 24 6 first proviso to subregulation 2 of regulation Each trustee has filed the details of his transactions of dealing in securities on a quarterly basis. Independent directors of trustee or asset management company have paid specific attention and commented in their reports on clause (i) to (ix) of this sub regulation. Networth of the AMC computed as per the definition under the regulation is more than Rs.10 crores. The asset management company is not acting as a trustee The asset management company is not undertaking any other business activities in the nature of portfolio management services, management and advisory services to offshore funds, pension funds, provident funds, venture capital funds, management of insurance funds, financial consultancy and exchange of research on commercial basis if any of such activities are in conflict with the activities of the mutual fund If the asset management company itself or through its subsidiaries undertake activities as mentioned in 17

18 24 paragraph 2 above, it has satisfied SEBI that the key personnel of the asset management company, the systems, back office, bank and securities accounts are segregated activity wise and there exist systems to prohibit access to inside information of various activities. 7 second proviso to subregulation 2 of regulation 24 8 subregulation 3 of regulation 24 The asset management company has met the capital adequacy requirements, if any, separately for each such activity as mentioned in para 2 above, and has obtained separate approval/registration from SEBI, if necessary under the relevant regulations of SEBI. The asset management company has not invested in any of its schemes unless full disclosure of its intention to invest has been made in the offer documents in case of schemes launched after the Notification dated 12 th January'98. Indicate details of such investments giving the names of schemes and the nature and amount of investments. 9 subregulation 3 of regulation 24 If the asset management company has invested in any of its schemes, it has not charged any fees on its 18

19 investment in that scheme. 10 subregulation 1 of regulation subregulation 2 of regulation subregulation 3 of regulation subregulation 4 of regulation 25 and our Circular dated January 05, subregulation 8 of regulation 25 The asset management company has taken all reasonable steps and has exercised due diligence to ensure that the investment of funds pertaining to any scheme is not contrary to the provisions of these regulations and the trust deed. The asset management company has exercised due diligence and care in all its investment decisions as is exercised by other persons engaged in the same business. The asset management company has ensured that there are no acts of commissions or omissions by its employees or the persons whose services have been procured by the asset management company The asset management company has submitted to the trustees bimonthly/quarterly/six monthly reports of each year on its activities and the compliance with the SEBI (Mutual Funds) Regulations, The asset management company has not utilized the services of the sponsor or any of its associates, employees or their relatives, for the purpose of 19

20 any securities transaction and distribution and sale of securities 15 proviso to subregulation 8 of regulation second proviso to subregulation 8 of the regulation 25 If the asset management company has utilized the services of the sponsor or any of its associates, employees or their relatives, for the purpose of any securities transaction and distribution and sale of securities, the asset management company has ensured that disclosure to that effect is made to the unit holders and the brokerage or commission paid is also disclosed in the half yearly/ annual accounts of the mutual fund. The Mutual Fund has disclosed in the half yearly & yearly accounts : (i) any underwriting obligations taken by the Scheme in respect of issues of securities of associate companies & (ii) devolvement, if any, (iii) subscriptions in issues lead managed by associate companies & (iv) subscription to any issue of equity or debt on private placement basis where the sponsor or its associate companies has acted as arranger or manager. 17 subregulation 9 The asset management company has filed with the 20

21 of regulation subregulation 10 of regulation subregulation 11 of regulation 25 trustees the details of transactions in securities by the key personnel of the asset management company in their own name or on behalf of the asset management company. In case the asset management company has entered into any securities transactions with any of its associates a report to that effect be sent to the trustees at its next meeting. In case any company has invested more than 5 per cent of the net asset value of a scheme, the investments made by that scheme or by any other scheme of the same mutual fund in that company or its subsidiaries have been brought to the notice of the trustees by the asset management company indicating the names of companies/schemes in which such investments have been made and have been disclosed in the half yearly and annual accounts of the respective schemes with justification for such investment. Provided the latter investment has been made within one year of the date of the former investment calculated on either side. 20 sub- The asset management 21

22 regulation 12 of regulation 25 company has filed with the trustees and SEBI the following : (i) detailed bio-data of all its directors along with their interest in other companies within fifteen days of their appointment; and (ii) any change in the interests of directors every 6 months (iii) a quarterly report to the trustee giving details and adequate justification in respect of the purchase and/or sale of the securities of the group companies of the sponsor or the AMC by the mutual fund 21 subregulation 13 of regulation subregulation 14 of regulation subregulation 15 of regulation 25 A statement of holdings in securities of the directors of the asset management company has been filed with the trustees with the dates of acquisition of such securities at the end of each financial year. The asset management company has not appointed any person as key personnel who has been found guilty of any economic offence or involved in violation of securities laws. The asset management company has appointed registrars and share transfer agents who are registered with the Board. 22

23 24 proviso subregulation 15 of regulation subregulation 16 of regulation Regulation 31 If the work relating to the transfer of units is processed in-house, the charges at competitive market rates have been debited to the scheme and for rates higher than the competitive market rates, prior approval of the trustees has been obtained and reasons for charging higher rates have been disclosed in the annual accounts. The asset management company has abided by the Code of Conduct as specified in the Fifth Schedule of the SEBI (Mutual Funds) Regulations, The AMC has complied with each of the clauses under sixth schedule and SEBI circular MFD/CIR/4/51/2000 dated June 05, 2000, while releasing scheme specific advertisement, sales literature, news letters, web sites and any other advertisement pertaining to the mutual fund. Place: Date : Signature of the Chief Compliance Officer : II. Investment Compliance Test S.N. Regulations Particulars Remarks (Indicate yes 23

24 if complied with the Regulations and No for noncompliance) 1 clause 1 of seventh schedule to subregulation 1 of regulation 44 2 clause 1A of seventh schedule to subregulation 1 of regulation 44 3 clause 2 of seventh schedule to subregulation 1 of regulation 44 4 clause 3 of seventh schedule to sub- No scheme has invested more than 15% of its NAV in rated (not below investment grade by a credit rating agency authorised to carry out such activity) debt instruments (apart from Government securities), issued by a single issuer and has not extended such investments to 20% of NAV of the Scheme without the prior approval of the Board of AMC and Board of Trustee. No scheme has invested more than 10% of its NAV in unrated debt issued by a single issuer and the total investment in such instruments has not exceeded 25% of NAV of any of the Scheme and all such investments are with the prior approval of the Board of AMC and Trustee Company. The Mutual Fund does not own more than 10% of any company s paid-up capital carrying voting rights under all its schemes. (If yes, give details of the investments made in excess of 10% of the paid up capital of the company in the prescribed format CRI) Inter scheme transfers of investments have been done at the prevailing market price for quoted instruments on spot 24

25 regulation 1 of regulation 44 basis and are in conformity with the investment objective of the scheme to which such transfer has been made. (Give details of all inter scheme transfers in the prescribed format CR2) 5 clause 4 of seventh schedule to subregulation 1 of regulation 44 Aggregate inter scheme investments made by all schemes under the mutual fund including investments in schemes under another mutual fund have not exceeded 5% of the net asset value of all the schemes under the mutual fund and no fees has been charged for the same. (Give details of such investments in the prescribed format CR 3) 6 clause 6 of seventh schedule to subregulation 1 of regulation 44 7 clause 6 of seventh schedule to subregulation 1 of regulation 44 The fund has bought and sold securities on the basis of deliveries and has in all cases of purchases, taken delivery of relative securities and in all cases of sale delivered the securities. The fund has not indulged in short sale or carry forward transactions or engaged in "badla" finance. In case of short sales please furnish details of names of the scrips, short sale price, buy price for covering up the short sale, loss if any and total loss. [The aforesaid details if applicable should be submitted in a tabular form as an annexure] 25

26 The fund has not entered into any derivative transactions for the purpose of hedging and portfolio balancing except in accordance with the guidelines. 8 clause 7 of seventh schedule to subregulation 1 of regulation 44 9 clause 9 of seventh schedule to subregulation 1 of regulation clause 10 of seventh schedule to subregulation 1 of regulation 44 The securities purchased have been transferred in the name of the Mutual Fund on account of the concerned scheme, wherever investments are intended to be of long term nature. No mutual fund Scheme has invested in any unlisted or private placement security of the associate or group company of the sponsor nor invested in any listed securities of the group companies of sponsor in excess of 25% of the NAV of its Scheme. No mutual fund Scheme at the time of making the investment has invested more than 10% of its NAV in the equity shares or equity related instruments of any Company except as provided in the proviso to clause 10. [Give details of all cases where the investments have exceeded the limit of 10% including the exempted cases under the proviso to clause 10 in the prescribed format CR 4] 11 clause 11 of seventh schedule to subregulation 1 No mutual fund Scheme has invested more than 5% of its NAV in the unlisted equity shares or equity related instruments in case of open 26

27 of regulation Proviso to subregulation 2 of regulation 44 ended scheme and 10% in case of close ended schemes. The borrowings by the Mutual Fund do not exceed more than 20% of net assets of the scheme and do not exceed a period of six months. (Give details of all borrowings by the scheme as per the prescribed format CR 5) 13 subregulation 2 of regulation subregulation 3 of regulation subregulation 4 of regulation subregulation 7 of regulation 25 The Mutual Fund has borrowed only for the purpose mentioned in sub-regulation 2 of regulation 44. No loans have been advanced by the Mutual Fund The mutual fund has lent securities in accordance with the stock lending scheme a. The business done through any broker associated with the sponsor or through a firm which is an associate of the sponsor has not exceeded 5% of the aggregate purchase and sale of securities made by the mutual fund in all its Scheme in a block of three months. (b) A justification has been furnished in writing to the Trustee in the quarterly report for the business done through 27

28 any broker (other than a broker referred to in Regulation 25(7)(a)) which is average of 5% or more of the aggregate purchase or sale of securities made by the mutual fund in all its schemes. Inter scheme transfer and direct offer of companies have not been included in the in the aggregate transaction amount used as the basis for the computation of the business to nonassociate brokers. (Give details of transactions done through the top 20 brokers, by amount, as per the prescribed format in CR 6, please mark * against the names of associates.) (Regulation 25 (7)(a) & (b) above Inter scheme transfer and direct deals with the companies should not be included in the aggregate transaction amount used as the basis for the computation of the total business to the brokers) Place: Date: Signature of the Chief Compliance Officer: III. Investors Service Compliance Test S No Regulation Particulars Remarks (Indicate yes if 28

29 complied with the Regulations and No for noncompliance) 1 sub-clause 2 of regulation 37 2 sub-clause a of regulation 53 3 sub-clause b of regulation 53 4 sub-clause c of regulation 53 The unit certificates are transferred and returned to the transferees within 30 days from the date of production of instruments of transfer together with relevant unit certificates. The dividend warrants have been despatched to the unit holders within 30 days of the declaration of the dividend. The repurchase/redemption proceeds have been despatched within 10 working days from the date of receipt of requests for repurchase/redemption. The AMC has paid for the period of delay in the event of failure to despatch the redemption or repurchase proceeds within the stipulated time. Details of interest paid enclosed in the format specified in SEBI circular MFD/CIR/2/266/2000 dated May 19, Give details regarding the status of investor complaints forwarded by SEBI during the bi-month and at the beginning of the bi-month as per the following format : Number of complaints pending at the beginning of the bi-month Number of complaints forwarded by SEBI during the bi-month Number of complaints redressed* during the bimonth Number of complaints pending at the end of the bi-month 29

30 Give details regarding the status of investor complaints received directly by the mutual fund as per the following format : Number of complaints pending at the beginning of the bi-month Number of complaints received during the bi-month Number of complaints redressed* during the bimonth Number of complaints pending at the end of the bimonth * All complaints which have been fully resolved and a communication thereof has been sent to the complainant shall be deemed to have been redressed. Place Date Signature of the Compliance Officer CR 1 REPORT OF INVESTMENT IN COMPANIES IN EXCESS OF 10% OF THEIR PAID UP CAPITAL CARRYING VOTING RIGHTS Date Name of the Company Purchase Price Value (Rs.lacs) Holding as % of company s paid-up capital carrying voting rights. Signature of the Compliance Officer CR 2 INTER SCHEME TRANSFERS 30

31 Dat e Name of the Transf eror Schem e Name of the Transfe ree Scheme Name of the compan y and type of security Details of Transfer Market rate (if unquoted / unlisted and basis of rate) Reas ons of tran sfer Quan tity Rate Value (Rs.lacs) Signature of Compliance Officer CR 3 INTRA AND INTER SCHEME INVESTMENTS Investee Scheme Investor Scheme Total investments by schemes as % of net assets of the investee schemes* Name Resources mobilised / net assets (Rs. lacs) Name Net assets (Rs. lacs) Investments (Rs. lacs) Investment as % of net assets Name *Information to be given only in the case of intra scheme investments. Signature of the Compliance Officer. CR 4 31

32 Details of investments in excess of the limits specified in Clause 10 of the Seventh Schedule of SEBI (Mutual Funds) Regulations 1996 read with SEBI Circular No.MFD/CIR/09/014/2000 dated January 05,2000. (1) (2) (3) (4) (5) (6) * (7) Sl. No Scheme Scrip Date/s of violation/s (First and each of the subsequent ones due to incremental investments, if any) Holding in the scrip as a % of the NAV of the scheme, consequent to the investment Applicable limit Name & closing value of the benchmark index / subindex(if applicable) (6)* For the sector /industry specific schemes, the applicable (upper) limit is the weightage of the scrip in the representative sectoral index/sub index or 10% of the NAV whichever is higher, as specifically disclosed in the offer document. For index funds/schemes, the upper limits shall be in accordance with the weightage of the scrips as disclosed in the offer document For all other schemes, the applicable upper limit for holding in each scrip is 10% of NAV. Signature of the Compliance Officer CR 5 REPORT ON BORROWINGS OF MUTUAL FUNDS 32

33 Name of the schem e and catego ry Nature of instrume nts/ mode of borrowing s Sourc e (Instit utions / banks / others ) Purpo se Date of borrowi ng Date of repayment of borrowing (specify the period of borrowing) Rate of borrowi ng Amou nt borro wed as % of net assets Colla teral used (if any Signature of the Compliance Officer CR 6 REPORT ON TRANSACTIONS THROUGH BROKERS Name of the broker Value of business (Rs. lacs) Brokerage paid (Rs. lacs) Broker wise contracts outstanding for more than 60 days % of gross business done Signature of Compliance Officer CR 7 Statement of Interest paid to the investors for delays in despatch of redemption/ repurchase warrants 6 Name of the Investor Date of Receipt of Redemption/ Repurchase Request Date of Dispatch of Redemption/ Repurchase Period of Delay Amount of Interest Paid (Rs.) 6 SEBI/MFD/CIR/2/266/2000 dated May 19,

34 CR 8 Statement of interest paid to the investors for delays in dispatch of dividend7 Name of the Investor Date of Dividend Declaration Date of Despatch of Dividend Period of Delay Amount of Interest Paid (Rs.) In addition to the above, the following may also be reported: 1. Compliance of AMC with SEBI guidelines on minimum no. of investors Compliance by AMC of Regulation 25(2) of the Mutual Funds Regulations on selection of Benchmarks. 3. The AMC(s) shall also report on the portfolio structure of Capital protection oriented scheme in its bimonthly CTR(s) 9 to the Board The AMC(s) shall certify in its CTR(s) that provisions of the Mutual Funds Regulations pertaining to parking of funds in short term 7 SEBI / IMD / CIR No 14 / / 2009 dated December 15, SEBI/IMD/CIR NO. 10/22701/03 dated December 12, For format of bimonthly CTR please refer Chapter on Formats 10 SEBI/IMD/CIR No.9/74364/06 dated August14,

35 deposits pending deployment are complied with at all points of time Compliance with reconciliation procedure in investments in G-Secs - The reconciliation procedure shall be made part of internal audit and the auditors shall on a continuous basis, check the status of reconciliation and submit a report to the Audit Committee. These reports shall be placed in the meetings of the Board of the AMC and Board of Trustees. Mutual Funds shall submit, on a quarterly basis to the RBI, a certificate confirming compliance with these requirements and any other guidelines issued by the RBI from time to time in this regard Mutual Funds are required to monitor the activities of their distributors, agents, brokers to ensure that they do not indulge in any malpractice or unethical practice while selling or marketing Mutual Funds units. Any non compliance with the Mutual Funds Regulations and Guidelines pertaining to Mutual Funds especially guidelines on advertisements and/ or sales literature and/or Code of Conduct shall be reported in the periodic meetings of the Board of the AMC and the Board of Trustees and shall also be reported to the Board Comments of AMC on the adequacy of risk management systems The number of days, when mutual funds were not able to adhere to the stipulated time limit for uploading their NAVs on the AMFI website with reasons thereof and the corrective action taken by the AMC to reduce the number of such occurances SEBI/IMD/CIR No. 1/ /07 dated April 16, MFD/CIR/19/22474/2002 dated November 20, MFD/CIR/ 06/210/2002 dated June 26, MFD/CIR/15/19133/2002 dated September 30, SEBI/IMD/CIR No.5 /96576/2007 dated June 25,

36 C. BROAD COVERAGE OF REPORT OF TRUSTEES TO SEBI 16 Trustees shall submit reports for the half year ended September and March. Reports should reach SEBI within 2 months from the end of the half year. The report of the Trustees should give specific comments on the following: Performance of schemes. Activities of the AMC with specific reference to transactions with affiliates, concentration of business with affiliate brokers, compliance with investment restrictions and inter scheme transfers, net worth of the AMC. Ability of the AMC/sponsor to honour the guaranteed returns in case of any Scheme guaranteeing returns. Deployment of funds of the scheme in accordance with investment objectives and not for any option trading or short selling or carry forward transactions. Valuation and pricing of units whether in accordance with the Regulations. Publication of Annual Report and furnishing of half yearly and annual accounts statements to unit holders and SEBI. Listing of scheme on stock exchange as per terms of the offer document effecting of transfer and despatch of units to unit holders within 30 days and timely despatch of repurchase/ redemption proceeds and dividend warrants. Action taken on deficiency and warning letters by SEBI. Before launch of scheme, AMC had systems in place for back office etc. appointed all key personnel, auditors, compliance officers, prepared manual, specified norms, etc. AMC shall appoint Registrar & Share Transfer Agents, who are registered with SEBI, provided that if the work is done in-house, then the rates charged must be competitive and for higher rates reasons for charging higher rates must be disclosed. 16 SEBI Cir No MFD/CIR/09/014/2000 January 5,

37 AMC has been diligent in empanelling brokers in monitoring securities transactions and avoiding undue concentration with any broker. AMC has not given undue and unfair advantage to any associate. In case, any company has invested more than 5% of NAV scheme, an investment made by the scheme or by any other scheme of the same mutual fund in that company or its subsidiaries shall be justified. Whether the AMC has dealt with any associate broker more than 5% of the quarterly business done by a mutual fund. In case the AMC has dealt through any other broker other than a associate broker in excess of 5% or more of the aggregate purchase and sale of securities made by the mutual fund in all its schemes, the AMC has recorded in writing the justification for the same and all whether all such investments have been reported to the trustees on a quarterly basis. Utilisation of the services of the sponsor or any of its associates, employees, etc. by AMC whether disclosure made in the annual accounts. Whether AMC submitted quarterly report on its activities and complied with Regulations. Transactions of mutual fund are in accordance with the trust deed. Funds pertaining to a scheme have been invested in accordance with the Regulations. All activities of AMC are in accordance with the Regulations Details of transaction in securities by key personnel in their own name or on behalf of the AMC. 17 Whether AMC filed with the trustees detailed bio-data of all directors of AMC along with their interest in other companies within 15 days of their appointment in any change in the interest of directors every six months. Whether directors of the AMC filed with the trustees, a statement of holding of securities at the end of each financial year along with dates of acquisition. 17 SEBI Cir No IIMARP/MF/Cir/01/294/98 dated February 4,

38 No conflict of interest between the manner in which the AMC has deployed its networth and the interest of the unitholders. Remedial steps as necessary taken by the trustees, in case the conduct and business of the mutual fund is not in accordance with the Regulations. Certifying that they have satisfied themselves that there have been no instances of self- dealing or front running by any of the trustees, directors and key personnel of the AMC. Certifying that AMC has been managing the schemes independently of any other activities and the unitholders interest has been protected. Comments of the independent trustee on the report received from the AMC regarding the investments by the mutual fund in the securities of the group companies of the sponsor. Confirmation that the mutual fund has not made any investment in - any unlisted security of an associate or group company of the sponsor, any security issued by way of private placement by an associate or group company of the sponsor or listed securities of group companies of the sponsor which is in excess of 25% of the net assets of all the schemes of the mutual fund. In case the mutual fund has an aggregate of securities which are worth Rs.10 crore or more as on the latest balance sheet date, whether transactions on or after January 15, 1998 are only through dematerialised securities. Whether unit holders consent obtained wherever necessary in accordance with Regulations. Any other matter the trustees would like to report to SEBI including A confirmation regarding adoption of SID and KIM format by AMC as per circular dated May 23, Compliance of AMC with SEBI guidelines on minimum no. of investors 18. Compliance by AMC of Regulation 25(2) of the Mutual Funds Regulations on selection of Benchmarks. The Trustees shall continuously monitor the portfolio structure of the capital protection oriented scheme and report the same in the Half Yearly Trustee Reports SEBI/IMD/CIR NO. 10/22701/03 dated December 12,

39 Trustee periodically review securities lending contract and offer their comments in this report. Trustees 20 shall report compliance of AMC with the Guidelines on recording of investment in this report and also check compliance with these guidelines through independent auditors or internal and/or statutory auditors or other systems developed by them. Trustees shall, in the Half Yearly Trustee Reports certify that provisions of the Mutual Funds Regulations pertaining to parking of funds in short term deposits pending deployment are complied with at all points of time 21. Compliance with reconciliation procedure in investments in G- Secs - The reconciliation procedure shall be made part of internal audit and the auditors shall on a continuous basis, check the status of reconciliation and submit a report to the Audit Committee. These reports shall be placed in the meetings of the Board of the AMC and Board of Trustees. Mutual Funds shall submit, on a quarterly basis to the RBI, a certificate confirming compliance with these requirements and any other guidelines issued by the RBI from time to time in this regard 22. The Trustees shall offer their comments on the compliance of guidelines on overseas investments by Mutual Fund schemes 23. Mutual Funds are required to monitor the activities of their distributors, agents, brokers to ensure that they do not indulge in any malpractice or unethical practice while selling or marketing Mutual Funds units. Any non compliance with the Mutual Funds Regulations and Guidelines pertaining to Mutual Funds especially guidelines on advertisements and/ or sales literature and/or Code of Conduct shall be reported in the periodic meetings of the Board of the AMC and the Board of Trustees and shall also be reported to the Board 24. Comments by Trustees on the adequacy of risk management systems 25. In case of Gold 26 : Whether the assets of Gold ETF are invested in gold as per the asset allocation mentioned in the Scheme Information document?, and 19 SEBI/IMD/CIR No.9/74364/06 dated August 14, For Half Yearly Trustee Report please refer to the chapter on Formats 21 SEBI/IMD/CIR No. 1/91171 /07 dated April 16, MFD/CIR/19/22474/2002 dated November 20, SEBI/IMD/CIR No.7/104753/07 dated September 26, MFD/CIR/ 06/210/2002 dated June 26, MFD/CIR/15/19133/2002 dated September 30, SEBI Circular No. Cir/IMD/DF/20/2010 dated December 06, This shall come into effect from the half yearly report ending April 2011 by trustees to SEBI. 39

40 Whether physical verification of gold was conducted by statutory auditor? 40

41 D. MONTHLY CUMULATIVE REPORT 27 For format of MCR please click here Instructions for Calculating AUM 1. To have uniformity in calculating Net assets under management (NAUM) and average assets under management (AAUM), the following methodology should be adopted. The AUM as on the last calendar day of each month shall be included in NAUM. In liquid funds, purchases on the first day of the next month shall not be considered in calculating NAUM for the current month. AAUM of the mutual fund shall be the aggregate of the daily AUM of the Mutual Fund over calendar days in the relevant month irrespective of the date of allotment/maturity of the scheme. Additional Reporting format 28 on the overseas investment by Mutual Funds in ADRs/ GDRs, foreign securities and overseas Exchange Traded Funds (ETFs) Instruments Amount Invested Redemption Value of overseas investments (as on last date of the month) ADR/GDR Equity of overseas companies Foreign debt securities Government in terms of Rs. In terms of US $ in terms of Rs. In terms of US $ in terms of Rs. In terms of US $ 27 SEBI Cir SEBI/IMD/CIR No 3/124444/08 dated April 30, SEBI/IMD/CIR No. 15/87045/2007 dated February 22,

42 Securities of AAA rated countires Overseas ETFs Units/securities issued by overseas Mutual Funds Number of Schemes investing in foreign securities Name of the country Amount invested in terms of Rs. In terms of US $ * Conversion rate as on last date of the month. Adjustment of conversion of US $ into India Rupee as per the RBI reference rate by Foreign Exchange Dealer Association of India (FEDAI) 42

43 E. ANNUAL STATISTICAL REPORT (ASR) 29 This report is to be submitted each financial year in order to reach SEBI latest by 30 th of April. NAME OF THE MUTUAL FUND: Unitholding Pattern of Mutual Fund as on March 31, Category Number of Folios Net asset Value Unit Capital (Rs. Crores) Individuals NRIs/OCBs FIIs Corporates/Institutions/ Others TOTAL Note: Data is to be provided for all the schemes put together and not individual scheme-wise 29 IIMARP/CIR /08/845/97 DATED May 7,1997, MFD/CIR/02/110/02 dated April 26,2002, SEBI Cir No- IMD/CIR No 6/72245/06 dated July 20,

44 F. REPORTING OF TRANSACTIONS To monitor trends of investment, mutual funds are required to submit details of transactions in secondary market on daily basis in both soft and hard copies. Information must be submitted for the total repurchases/ sales of equity/ debt and not for each individual scrip. Information on total purchases/ sales of sensitive index scrips need not be sent. Format and Specification of the Daily Transaction Report 30 Operational notes on Reporting of transactions by registered Mutual Funds DAILY REPORTS 1. The format of DTR, explanation of codes, field widths etc are enclosed in Annexure "A". 2. The data as per DTR would be submitted in "TEXT" format with fields separated by " " (i.e. a pipe). 3. All transaction will have a unique transaction identification number which would be given by the AMCs/custodians at their end. 4. In case of any change in transaction already reported to SEBI, such change can be reported as amendment transaction with the following characteristics a. Transaction type is to be reported as "A b. Transaction ID shall be the same as that of earlier reported transaction. c. Correct details In other words the system will cancel the earlier reported transaction and will only consider the amended transaction for processing. REPORTING TYPE - R_TYPE N - New Transaction A - Amendment in earlier transaction. D - Deletion of earlier reported transaction. General Aspects: 1. The date format to be used all the reports submitted to SEBI would be DD-MON-YYYY. 2. All Transaction values are In CRORES. 30 SEBI Cir No - MFD/CIR/07/384/99 dated December 17, 1999 and MFD/CIR/08/23026/99 dated December 23,

45 3. The file names to be used for submitting the report in soft copies are DTR: D<ddmm><3 char of Custodian code No>.txt For e.g. Custodian code No: 001 for the date Dec 02 The file name would be D TXT Annexure "A" DTR (List and field description of codes in DTR) SR. NO. CODE EXPLANATION FIELD TYPE FIELD WIDTH 1 CUST_CODE CUSTODIAN CHARACTER 3 CODE 2 TRN_ID UNIQUE CHARACTER 12 IDENTIFICATION NUMBER 3 TRN_DATE TRANSACTION CHARACTER 11 DATE DD-MON-YYYY 4 REPORT_DT DATE OF CHARACTER 11 REPORT (DD-MON-YYYY 5 R_TYPE REPORTING TYPE CHARACTER 1 6 TOT_PUR_EQ TOTAL PURCHASE (EQUITY) 7 TOT_SAL_EQ TOTAL SALES (EQUITY) 8 TOT_PUR_DEBT TOTAL PURCHASE (DEBT) 9 TOT_SAL_DEBT TOTAL SALES (DEBT) 10 TOT_PUR_EQ_BSE TOTAL PURCHASE (SENSITIVE INDEX SCRIPTS) Out of (6) 11 TOT_SAL_EQ_BSE TOTAL SALES (SENSITIVE INDEX SCRIPTS) Out of (7) NUMBER (12,2) NUMBER (12,2) NUMBER (12,2) NUMBER (12,2) NUMBER (12,2) NUMBER (12,2) (1) NUMBER (12,2) -- Number with 10 integer and 2 decimal digits. 45

46 (2) All transaction values to be reported in crores. Annexure "B" Format of the text file: File Name : D Cust_ Code MF Reg. No. C (3) C (12) Trn _ID Trn. _dt C(12) 02- DEC Report _Dt R_Type Tot_Pur_Eq Tot_Sal _Eq 02-DEC C(1) N(12,2) N(12,2) Tot_Pur_Debt Tot_Sal_Debt Tot_Pur_Eq_ Tot_Sale_ BSE Eq_ BSE N(12,2) N(12,2) N(12,2) N(12,2) A B C D E F 001 MF/001/93/1 ID01 02-DEC DEC N Amendment: For e.g. Original Record is 001 MF/001/93/1 ID01 02-DEC DEC N Suppose Tot_Pur_Eq has to be changed from 2.25 to 25.5 then the amended record would be 001 MF/001/93/1 ID01 02-DEC DEC A and reported on 4 th December, A: TOT_PUR_EQ B: TOT_SAL_EQ C: TOT_PUR_DEBT D: TOT_SAL_DEBT E: TOT_PUR_EQ_BSE (Sensitive Index out of A) F: TOT_SAL_EQ_BSE (Sensitive Index out of B) 46

47 G. PORTFOLIO FORMAT FOR DEBT ORIENTED CLOSE ENDED AND INTERVAL SCHEMES/ PLANS 31 MONTHLY PORTFOLIO DISCLOSURE Portfolio as on Name of the Scheme Sr. No. Name of the Instrument A Bonds & Debentures of : (I) Private Corporate Bodies (II) PSUs (III) Banks/FI (including NBFC) (IV) Others Sub Total (A=I+II+III+IV) B Securitised Debt Instruments (V) Single Loan (VI) Pool Sub Total (B=V+VI) Market Value (in Rs. lakh) % to Net Assets of the scheme C Money Market Instruments (VII) CPs (VIII) CDs (IX) T Bills (X) CBLOs/Repos (XI) Bills Rediscounting/BRDS (XII) Others Sub Total (C=VII+VIII+IX+X+XI+XII) D Government Securities E Fixed Deposits F Cash and Net Current Assets G Others (Pls specify) 31 SEBI Circular No SEBI/IMD/Cir No 15/157701/2009 dated March 19,

48 Net Assets (A+B+C+D+E+F+G) Any downgrading of securities after the last disclosure may be disclosed by way of notes. * For items A - E issuer wise details may be given as per the Annexure by providing a link Details of Portfolio as on ANNEXURE A Bonds & Debentures Category of Issuer (I) (II) (III) (IV) Name of the Issuer Market Value (in Rs. lakh) Rating % to Net Assets of the scheme B Securitized Debt Instruments Single Loan (V) Obligor Originator Trust Details Name of Guarantor/ Details of underlying Security Level of guarantee (as % of loan) Market Value (in Rs. lakh) Rating (VI) Pool Originator Seller Trust Details Type of Pool Credit enhancement (as % of loan) Market Value (in Rs. lakh) Rating C Money Market Instruments (VII) (VIII) (IX) Name of the Issuer Market Value (in Rs. lakh) Rating % to Net Assets of the scheme 48

49 (X) (XI) (XII) D Government Securities Details of Securities Market Value (in Rs. lakh) % to Net Assets of the scheme E Fixed Deposits Bank Name Amount (in Rs. lakh) % to Net Assets of the scheme 49

50 H. REPORT TO TRUSTEES BY AMC 32 The Compliance certificate to be submitted by the AMC to the Trustees on an half yearly basis should contain specific comments on the following: If the AMC is carrying on other activities whether the same are conducted as per the Regulations and whether it continues to meet capital adequacy requirements for each of the activities. Net worth of the AMC Change in the directors on the Board of Directors of the AMC. The investments have been made in accordance with the Regulations, Trust Deed and investment objectives of the scheme. Utilisation of services of the sponsor or of any of its associates, employees or their relatives for any securities transaction is in accordance with the offer document and the brokerage and commission paid to such affiliates. Details of change in the interests of directors on the Board of directors of the AMC. Borrowings of the mutual fund giving details of date, nature of instrument, source, amount borrowed, purpose of borrowing, interest rate, security offered for the borrowing, percent of borrowing to net assets on date of borrowing, date of repayment or proposed manner of liquidation of the debt; if borrowing is from any associate of the sponsor or AMC reasons for borrowing from such entity and competitiveness of the terms. Investments/ redemption by the AMC, Sponsor any associate of the Sponsor in any of the Schemes and inter-scheme investments giving details of name of the schemes, date, price, value, charges levied. Transactions in securities by the key personnel of the AMC in their own name or on behalf of the AMC giving details of names of the personnel, name of the security, purchase/sale details like quantity, rate, value, name of broker, whether transaction is on personal account or immediate family or fiduciary. Valuation and pricing of the units. 32 SEBI Circular MFD/CIR/09/014/2000 dated January 5,

51 Maintenance of proper books of accounts records and documents for each scheme. Identification and appropriation of expenses to individual schemes and conformity of expenses as per limits laid down by SEBI. Ability to honour guarantee commitment in respect of any guaranteed return scheme. Deficiency/ warning letters if any, received from SEBI and corrective action taken. Transactions (during preceding 2 quarters) with brokers associated with the sponsor which shall not in the average of 5% or more during any block of 3 months in all of its schemes. Transactions (during preceding 2 quarters) with non-associate brokers in the average of 5% or more during any block of 3 months together with justification for exceeding the limits. Justification about the purchase and sale of securities of group companies of the sponsor or the AMC by the mutual fund during preceding 2 quarters. Details of investments in listed securities of group companies of the sponsor (not to exceed 25% of the net assets of all the schemes of the mutual fund). The Compliance certificate to be submitted by the AMC to the Trustees on a Bi-monthly basis should contain specific comments on the following: Investments made in excess of 10% of the paid up capital of a company, giving details of the date of purchase, name of the company, purchase price, value and holding percent in the capital carrying holding rights, whether any of such companies are associates of the sponsor/amc, justification for making the investment. Inter scheme transfers detailing dates, name of transferor and transferee schemes, securities transferred and price, value of transfer and reasons for the transfer. Investments by any company amounting to more than five per cent of the net asset value of a scheme indicating names of 51

52 companies/schemes and their association with the Sponsor or the AMC, if any Concentration of business with brokers in excess of 5% of quarterly gross business of the mutual fund, giving details of date, name of broker, value of business, brokerage paid, percent of business to total business for the day, whether the broker is associated with the sponsor or through a firm which is an associate of the sponsor and justification for such transactions. Transactions that resulted in short sales or carry forward giving details of date, scrip, name of the broker, rate, quantity in custody. Despatch of repurchase/ redemption proceeds within 10 days and transfer of units within 30 days to unit holders, status of redressal of investors complaints giving ageing schedule and reasons. Details of investments in unrated debt instruments as approved by the Board of the AMC and Board of Trustees shall be communicated along with clear indication as to how the parameters set for investments have been complied with. Investments made in short term deposits pending deployment of funds 33 shall be recorded 34 and reported including the reasons for the investment especially comparisons with interest rates offered by other scheduled commercial banks Clause 8, Schedule Seven of SEBI (Mutual Funds) Regulations, SEBI Circular No. MFD/CIR/6/73/2000 dated July 27, SEBI Circular No. SEBI/IMD/CIR No.9/20306/03 dated November 12,

53 FINANCIALS A. FORMAT FOR HALF YEARLY DISCLOSURE OF UNAUDITED FINANCIAL RESULTS B. ABRIDGED SCHEME-WISE ANNUAL REPORT FORMAT C. HALF YEARLY PORTFOLIO DISCLOSURE 53

54 A. HALF YEARLY FINANCIAL RESULTS FOR THE YEAR ENDED 36 FORMAT FOR HALF YEARLY DISCLOSURE OF UNAUDITED FINANCIAL RESULTS (For Newspaper Publication) HALF YEARLY FINANCIAL RESULTS FOR THE PERIOD ENDED SR.NO PARTICULARS SCHEME NAMES Unit Capital at the beginning of the half year period [Rs. in Crores] Unit Capital at the end of the period [Rs. in Crores] 2 Reserves & Surplus [Rs. In Crores] Total Net Assets at the beginning of the half year period [Rs. in Crores] Total Net Assets at the end of the period [Rs. in Crores] NAV at the beginning of the half year period [Rs.] NAV at the end of the period [Rs.] Dividend paid per unit during the half-year [Rs.] Income Dividend [Rs. in Crores] Interest [Rs. in Crores] Profit/(Loss) on sale/redemption of investments (other than inter scheme transfer/sale) [Rs. in Crores] Profit/(Loss) on inter-scheme transfer/sale of investments [Rs. in Crores] Other Income (indicating nature) [Rs. in Crores] Total Income (5.1 to 5.5) [Rs. in Crores] 36 MFD/CIR/1/200/2001 dated April 20,

55 Expenses Management Fees [Rs. in Crores] Trustee Fees [Rs. in Crores] Total Recurring Expenses (including 6.1 and 6.2) [Rs. in Crores] Percentage of Management Fees to daily/weekly average net assets [%] Total Recurring expenses as a percentage of daily/weekly average net assets [%] Returns during the half-year * [ (+) (-) ] Compounded Annualised yield in case of schemes in existence for more than 1 Year ** Last 1 year [%] Last 3 years [%] Last 5 years [%] Since launch of the scheme (date of launch to be given) [%] 8 Provision for Doubtful Income/Debts [Rs. in Crores] 9 Payments to associate/group companies (if applicable) [Rs. in Crores] 10 Investments made in associate/group companies (if applicable) [Rs. in Crores] Considering the movement of NAV during the half year and after adjustment of dividend, bonus, etc. ** For the calculation of compounded annualized yield, the procedure prescribed in Standard Offer Document shall be followed. All performance calculations shall be based only on NAV and the payouts to the unit holders. The calculation of returns shall assume that all payouts during the period have been reinvested in the units of the scheme at the then prevailing NAV. The type of plan/option of the scheme for which yield is given shall also be mentioned. Notes: 55

56 1. Effect of changes in the accounting policies on the above items to be disclosed by way of notes. 2. Details of transactions with associates in terms of Regulation 25(8), if applicable, to be given by way of note. 3. Details of investments made in companies which have invested more than 5% of the NAV of a scheme in terms of Regulation 25(11), if applicable, to be given as a note. 4. Details of large holdings (over 25% of the NAV of the scheme), if applicable, including information about the no. of such investors and total holdings by them in percentage terms, to be given as a note. 5. Any bonus declared during the half-year in respect of any of the schemes to be disclosed by way of a note. 6. Details of Deferred Revenue Expenditure, if any, to be disclosed by giving a note. 7. Borrowings if any, above 10% of the net assets of any scheme of a mutual fund to be disclosed. 8. Exposure if any, of more than 10% of the net assets of any scheme of a mutual fund investing in derivative products to be disclosed. 9. All other disclosures as specifically stipulated in the SEBI (Mutual Funds) Regulations, 1996, amended from time to time. 10. Performance of benchmark indices shall be disclosed below the returns of specific schemes for the same period. Mutual Funds can give the performance of more than one benchmark index also, if they so desire. Mutual funds may also give the perception of the management on the performance of their schemes Schemewise percentage of investments made in foreign securities shall be disclosed as a footnote SEBI Circular - SEBI/MFD/CIR No. 6 / /03 June 26, SEBI Circular SEBI/IMD/Cir No 7/104753/07 dated September 26,

57 B. ABRIDGED SCHEME-WISE ANNUAL REPORT FORMAT 39 Auditors' Report Append the Auditors' Report to the financial statements of schemes, drawn up in conformity with SEBI (Mutual Funds) Regulations, ABC Mutual Fund 39 SEBI Circular No. IMD/CIR No.8/132968/2008 dated July 24,

58 Address Trustee Report 1 Scheme Performance, Future Outlook and Operations of the Schemes Brief commentary on the scheme's one year and since inception performance vis-à-vis the benchmark. Performance to be as of the period / year end. Future Outlook of the Fund and Operations of the Schemes. 2 Brief background of Sponsors, Trust, Trustee Co. and AMC co. a. Mutual Fund Mutual Fund ( MF) was set up as a Trust by the Settlers, on with Trustee Company (the Trustee Company) as a Trustee in accordance with the provisions of the Indian Trust Act, 1882 and is duly registered under the Indian Registration Act, The Trustee has entered into an Investment Management Agreement dated with Ltd. (the AMC) to function as the Investment Manager for all the Schemes of MF. MF was registered with SEBI on. b. Trustee Company The Trustee is the exclusive owner of the Trust Fund and holds the same in trust for the benefit of the unitholders. The Trustee has been discharging its duties and carrying out the responsibilities as provided in the Regulations and the Trust Deed. The Trustee seeks to ensure that the Fund and the Schemes floated there under are managed by the AMC in accordance with the Trust Deed, the Regulations, directions and guidelines issued by the SEBI, the Stock Exchanges, the Association of Mutual Funds in India and other regulatory agencies 3 Investment Objectives of the Schemes 4 Significant Accounting Policies: a Note confirming that "Accounting policies are in accordance with Securities Exchange Board of India (Mutual Fund) Regulations 1996." Deviation, if any, should be reported. 5 Unclaimed Dividends & Redemptions Summary of No. of Investors & Corresponding amount schemewise 58

59 Unclaimed Dividends Unclaimed Redemptions Scheme Amount (Rs.) No. of Investors Amount (Rs.) No. of Investors Scheme A Scheme B 6 Statutory Information: a. The Sponsors are not responsible or liable for any loss resulting from the operation of the Schemes of the Fund beyond their initial contribution (to the extent contributed) of Rs. for setting up the Fund, and such other accretions / additions to the same. b. The price and redemption value of the units, and income from them, can go up as well as down with fluctuations in the market value of its underlying investments. c. Full Annual Report shall be disclosed on the website ( and shall be available for inspection at the Head Office of the mutual fund. Present and prospective unit holder can obtain copy of the trust deed, the full Annual Report of the Fund / AMC at a price. For Trustee Company Director Place: Date: ABC MUTUAL FUND Address Abridged Balance Sheet as at Rupees in Lakhs Scheme A Scheme B Scheme C As at As at As at As at As at As at Curren Previou Curren Previou Curren Previo t Year s Year t Year s Year t Year us Year 59

60 LIABILITIES 1 Unit Capital 2 Reserves & Surplus 2.1 Unit Premium Reserves Unrealised Appreciation 2.2 Reserve 2.3 Other Reserves 3 Loans & Borrowings Current Liabilities & Provisions Provision for doubtful Income/Deposits Other Current Liabilities & Provisions TOTAL ASSETS 1 Investments 1.1. Listed Securities: Equity Shares Preference Shares Equity Linked Debentures Other Debentures & Bonds Securitised Debt securities 1.2 Securities Awaited Listing: Equity Shares Preference Shares Equity Linked Debentures Other Debentures & Bonds Securitised Debt securities 1.3 Unlisted Securities Equity Shares 60

61 1.3.2 Preference Shares Equity Linked Debentures Other Debentures & Bonds Securitised Debt securities 1.4 Government Securities 1.5 Treasury Bills 1.6 Commercial Paper 1.7 Certificate of Deposits 1.8 Bill Rediscounting Units of Domestic Mutual 1.9 Fund Foreign Securities Total Investments 2 Deposits 3 Other Current Assets 3.1 Cash & Bank Balance 3.2 CBLO/ Reverse Repo Lending 3.3 Others 4 Deferred Revenue Expenditure (to the extent not written off) TOTAL Notes to Accounts - Annexure I ABC MUTUAL FUND Address Abridged Revenue Account For The Year / Period Ended Rupees in Lakhs Scheme A Scheme B Scheme C Current Previou s Current Previou s Current Previou s 61

62 1 INCOME Year / Period ended Year / Period Ended Year / Period ended Year / Period ended Year / Period ended Year / Period ended Dividend Interest Realised Gain / (Loss) on Foreign Exchange Transactions Realised Gains / (Losses) on Interscheme sale of investments Realised Gains / (Losses) on External sale / redemption of investments Realised Gains / (Losses) on Derivative Transactions Other Income 1 ( A ) 2 EXPENSES Management fees Service tax on Management fees Transfer agents fees and expenses Custodian fees Trusteeship fees Commission to Agents Marketing & Distribution expenses Audit fees Other operating expenses ( B ) 3 NET REALISED GAINS / (LOSSES) FOR THE YEAR / PERIOD (A -B = C) 62

63 4 Change in Unrealised Depreciation in value of investments (D) 3 5 NET GAINS / (LOSSES) FOR THE YEAR / PERIOD (E=(C-D)) 6 Change in unrealised appreciation in the value of investments (F) 4 7 NET SURPLUS / (DEFICIT) FOR THE YEAR / PERIOD ( E + F = G ) Add: Balance transfer from Unrealised Appreciation Reserve Less: Balance transfer to Unrealised Appreciation Reserve 7. Add / (Less): 3 Equalisation 8 Total 9 Dividend appropriation 9. Income Distributed 1 during the year / period Tax on income distributed during the year / period Retained Surplus / (Deficit) carried forward to Balance sheet Notes to Accounts - Annexure I Guidance Note 1 : Provide details of signficant items indicating nature & corresponding amount in Notes to accounts 2 : State in the notes to accounts that expenses other than management fee is inclusive of service tax where applicable. 3. Unrealised Depreciation to be computed by each asset category and shown on an aggregated basis. This should take into account change in unrealised depreciation for the year/period and write back of unrealised depreciation provided in the previous year end. 4. Unrealised Appreciaiton to be computed by each asset category and shown on an aggregated basis. This should take into account change in unrealised appreciaiton for the year/period and write off of unrealised appreciation provided in the previous year end. 63

64 ABC Mutual Fund Address Notes to Accounts - Annexure I to the Abridged Balance Sheet and Revenue Account for the Year / Period ended 1 Investments: Note confirming that Investments of the Schemes are registered in the name of the Trustees for the benefits of the Schemes Unitholders Open Position of derivatives (outstanding market value & % to Net Assets as of the Year end) Investments in Associates and Group Companies: Provide details of issuer, nature of instruments, amount, aggregate investments by all schemes Open position of Securities Borrowed and / or Lend by the scheme Details of NPA: Aggregate market value and provision thereof Aggregate Unrealised Gain / Loss as at the end of the Financial Year / Period and percentage to net assets Aggregate Value of Purchase and Sale with Percentage to average assets Non-Traded securities in the portfolio: Provide Aggregate Value of Equity, Debt & Money Market Instruments and percentage to net assets. 2 Details of Transaction with Associates under regulation 25(8). Provide details of name of associate, nature of payment and amount 3 "Large Holdings in the Scheme (i.e. in excess of 25% of the net assets). Provide details of No. of Investors and total holdings by them in percentage terms." 4 Unit Capital movement during the year ended / period ended. Planwise details of movement in units - opening, subscription, redemption, closing. Indicate plan wise face value of units. 64

65 5 Prior Year Comparison - a suitable statement that prior year figures have been reclassified wherever necessary to conform to current years' presentation. 6 Contingent Liability. Provide details of nature and amount. Guidance Note: Provide corresponding previous year/period figures for all the above disclosures. ABC MUTUAL FUND Address Key Statistics for the year / period ended Current Year/ Period ended Scheme A Scheme B Scheme C Previous Current Previous Current year/ Year/ year/ Year/ Period Period Period Period ended ended ended ended Previous year/ Period ended 1. NAV per unit (Rs.): Open High Low End 2. Closing Assets Under Management (Rs. in Lakhs) End Average (AAuM) 3.Gross income as % of AAuM 1 4. Expense Ratio: a. Total Expense as % of AAuM (plan wise) b. Management 65

66 Fee as % of AAuM (plan wise) 5. Net Income as a percentage of AAuM 2 6. Portfolio turnover ratio 4 7. Total Dividend per unit distributed during the year / period (plan wise) 8. Returns: a. Last One Year Scheme Plan Plan Benchmark b. Since Inception Scheme Plan Plan Benchmark 1. Gross income = amount against (A) in the Revenue account i.e. Income. 2. Net income = amount against (C) in the Revenue account i.e. NET REALISED GAINS / (LOSSES) FOR THE YEAR / PERIOD 3. Portfolio Turnover = Lower of sales or purchase divided by the Average AuM for the year/period. 4. AAuM=Average daily net assets 66

67 C. HALF YEARLY PORTFOLIO DISCLOSURES 40 Name of the Mutual Fund: Name of the scheme: Half-yearly Portfolio Statement for the period ended Name of the instrument Equity & Equity related - Quantity Mkt value (Rs in lakhs) % to NAV 40 MFD/CIR/9/120/2000 dated November 24, 2000, MFD/CIR/14/18337/2002 dated September 19,

68 (a) listed / awaiting listing on Stock Exchanges (b) Unlisted Total Total Debt Instruments - (a) listed/awaiting listing on stock exchanges Rating (b) Privately Placed/Unlisted Total Rating

69 3 (C) Securitized Debt Instruments 41 Total Money Market Instruments Total Others cash etc. (please specify) Grand Total The portfolio disclosure for derivative positions shall be made as follows: Hedging Positions through Futures as on Underlying Long / Short Futures Price when purchased Current price of the contract Margin maintained in Rs. Lakhs Total %age of existing assets hedged through futures For the period ended specify the following for hedging transactions through futures which have been squared off/expired Total Number of contracts where futures were bought Total Number of contracts where futures were sold Gross Notional Value of contracts where futures were bought Gross Notional Value of contracts where futures were sold Net Profit/Loss value on all contracts combined Exposure created due to over hedging through futures (quantity of hedging position exceeding the quantity of existing position being hedged) shall be reported in the next table. 41 SEBI Circular No. IMD/CIR No 8/132968/2008 dated July 24,

70 Other than Hedging Positions through Futures as on Underlying Long / Short Futures Price when purchased Current price of the contract Margin maintained in Rs. Lakhs Total exposure due to futures (non hedging positions) as a %age of net assets For the period ended specify the following for non-hedging transactions through futures which have been squared off/expired Total Number of contracts where futures were bought Total Number of contracts where futures were sold Gross Notional Value of contracts where futures were bought Gross Notional Value of contracts where futures were sold Net Profit/Loss Value on all contracts combined Hedging Positions through Put Options as on Underlying Number of Contracts Option Price when purchased Current Option Price Total %age of existing assets hedged through put options For the period ended specify the following for hedging transactions through options which have already been exercised/expired Total Number of contracts entered into Gross Notional Value of contracts Net Profit/Loss on all contracts (treat premium paid as loss) Exposure created due to over hedging through options (quantity of hedging position exceeding the quantity of existing position being hedged) shall be reported in the next table. Other than Hedging Positions through Options as on Underlyin g Call / Put Number of contracts Option Price when purchased Current Price Total Exposure through options as a %age of net assets For the period ended with regard to non-hedging transactions through options which have already been exercised/expired specify: Total Number of contracts entered into 70

71 Gross Notional Value of contracts Net Profit/Loss on all contracts (treat premium paid as loss) Hedging Positions through swaps as on Swaps should be disclosed separately as two notional positions in the underlying security with relevant maturities. For example, an interest rate swap under which a mutual fund is receiving floating rate interest and paying fixed rate will be treated as a long position in a floating rate instrument of maturity equivalent to the period until the next interest fixing and a short position in a fixed rate instrument of maturity equivalent to the residual life of the swap. The aforementioned provisions for disclosure on derivatives shall be applicable for all new schemes launched post the issue of the circular 42. For all existing schemes, compliance with the circular shall be effective from October 01, The following guidelines should be observed by the AMC when preparing the half yearly portfolio statement for the unitholders:- 1. Entire portfolio irrespective of the quantity, market value and percentage to NAV of any scrip should be disclosed in descending order of weightage within each sub-group. If percentage to NAV of any security is less than 0.01%, it may be indicated by giving asterisk or any other mark instead of showing An asterisk/ suitable mark should be given against debt instruments which are NPAs in accordance with SEBI Regulations and guidelines. 42 SEBI Circular No. Cir/ IMD/ DF/ 11/ 2010 dated August 18,

72 3. A double asterisk mark should be given against thinly traded/ non traded securities and illiquid securities as defined in SEBI Regulations and guidelines. 4. The following information may be given by way of footnotes : a. Total NPAs provided for and its percentage to NAV. b. Total value and percentage of illiquid equity shares. c. NAV at the beginning and end of the half-year period and any dividend, bonus etc declared during the period. d. Total outstanding exposure in derivative instruments at the end of the period. e. Total investments in foreign securities/adrs/gdrs at the end of the period. 5. For Equity Oriented Schemes, in addition to the above, the following are required to be disclosed: a. Portfolio Turnover Ratio to be disclosed as a footnote. b. The name of the industry against the name of each security in accordance with industry classification as recommended by AMFI. The same industry classification may also be followed by the Mutual Funds while making disclosures of portfolios to investors, distributors and others, which are non statutory in nature. 6. For Debt Oriented Schemes, in addition to the above, the following are required to be disclosed a. Average maturity period to be disclosed as a footnote. 7. Half Yearly portfolio statements shall disclose all funds parked in short term deposit(s) under a separate heading. Details shall also 72

73 include name of the bank, amount of funds parked, percentage of NAV 43. Further, all term deposits placed as margins for trading in cash and derivatives market shall be disclosed under a separate heading. Details shall include name of the bank, amount of term deposits, duration of term deposits, percentage of NAV Investments in foreign securities shall be disclosed in the prescribed format under a separate heading "Foreign Securities and/or overseas ETF(s)" SEBI/IMD/CIR No.1/91171/07 dated April 16, SEBI Circular No. SEBI/IMD/Cir No.7/129592/08 dated June 23, SEBI Cir SEBI/IMD/CIR No.7/104753/07 dated September 26,

74 4. APPLICATION FOR OVERSEAS INVESTMENTS 74

75 PROPOSAL FOR INVESTMENTS IN ADRs/GDRs/ FOREIGN SECURITIES / OVERSEAS ETFs 46 Name of the Mutual Fund: SEBI Registration No.: Amount Proposed to be Invested in ADRs /GDRs /Foreign Securities / Overseas ETFs (in US $) Schemes of the Mutual Fund through which investment is proposed Whether the investment is consistent with the Investment Objectives of the Scheme (s); Whether the offer document(s) provides for Overseas Investments and discloses the attendant risks Name and Address of the branch of the bank through which Foreign Currency Transactions are to be routed: Details of all overseas service providers proposed to be engaged including custodians, specialised agencies etc. (Details must include name & address, services to be rendered, details of fee arrangement proposed, whether their track record of performance and regulatory compliance considered, their valid registration with overseas regulators details of experience/expertise, assets under management/custody, etc.) Name and Type of scheme(s) Declaration: 1. Boards of AMC and Trustees have exercised due diligence as required under Regulation 25(2) and Guidelines issued in this regard. 2. Board of AMC and Trustees are satisfied that 46 SEBI Cir No- IMD/CIR No 7/104753/07 dated September 26,

76 i. The proposed investments in ADRs/GDRs issued by Indian or foreign companies or foreign securities or overseas ETFs are consistent with the investment objectives of the above mentioned scheme(s) and are in the interest of investors. ii. The systems and procedures adopted by the AMC including the arrangements made with the overseas service providers are adequate to support such investments and to safeguard the interest of investors. iii. The overseas service providers have sufficient experience, competence and a satisfactory track record of performance and regulatory compliance. 3. A resolution to the above effect has been passed by the Boards of AMC and Trustees on (dates) Place: Date: Signatures Name: Designation: (Authorised by Trustees) 76

77 5. STANDARD OFFER DOCUMENT 47 A. SCHEME INFORMATION DOCUMENT (SID) B. STATEMENT OF ADDITIONAL INFORMATION (SAI) C. KEY INFORMATION MEMORANDUM (KIM) 47 SEBI/IMD/CIR No. 5/126096/08 dated May 23,

78 A. SCHEME INFORMATION DOCUMENT (SID) Front Cover Page SCHEME INFORMATION DOCUMENT N A M E O F T H E S C H E M E ( T y p e o f S c h e m e O p e n / C l o s e d / I n t e r v a l / E q u i t y / B a l a n c e d / I n c o m e / D e b t / L i q u i d / E T F e t c. ) Offer of Units of Rs. -- each for cash (subject to applicable load) during the New Fund Offer and Continous offer for Units at NAV based prices New Fund Offer Opens on: New Fund Offer Closes on: Scheme re-opens on: Name of Mutual Fund : Name of Asset Management Company : Name of Trustee Company : Addresses, Website of the entities The particulars of the Scheme have been prepared in accordance with the Securities and Exchange Board of India (Mutual Funds) Regulations 1996, (herein after referred to as SEBI (MF) Regulations) as amended till date, and filed with SEBI, along with a Due Diligence Certificate from the AMC. The units being offered for public subscription have not been approved or recommended by SEBI nor has SEBI certified the accuracy or adequacy of the Scheme Information Document. The Scheme Information Document sets forth concisely the information about the scheme that a prospective investor ought to know before investing. Before investing, investors should also ascertain about any further changes to this Scheme Information Document after the date of this Document from the Mutual Fund / Investor Service Centres / Website / Distributors or Brokers. The investors are advised to refer to the Statement of Additional Information (SAI) for details of Mutual Fund, Tax and Legal issues and general information on (webside address). SAI is incorporated by reference (is legally a part of the Scheme Information Document). For a free copy of the current SAI, please contact your nearest Investor Service Centre or log on to our website. 78

79 The Scheme Information Document should be read in conjunction with the SAI and not in isolation. This Scheme Information Document is dated. Note: The wording in italics is explanatory commentary/instructions. The words in Arial font are the text to be used in the Scheme Information Document, as applicable. Instructions: i. A Mutual Fund is free to add any other disclosure, which in the opinion of the Trustees of the Mutual Fund (Trustees) or the Asset Management Company (AMC) is material for the investor, provided that such information is not presented in an incomplete, inaccurate or misleading manner. Care should be taken to ensure that inclusion of such information does not, by virtue of its nature, or manner of presentation, obscure or impede understanding of any information that is required to be included under the Scheme Information Document. ii. Since investors who rely on the Scheme Information Document may not be sophisticated in legal or financial matters, care should therefore be taken to present the information in the Scheme Information Document in simple language and in a clear, concise and easily understandable manner. iii. The scheme shall not have a name or title which may be deceptive or misleading. Scheme s name should be consistent with its statement of investment policy. iv. The type of the scheme would mean whether the scheme is a growth scheme, income scheme, balanced scheme etc. and whether the scheme is open-ended, close-ended, an interval fund etc. 79

80 TABLE OF CONTENTS: HIGHLIGHTS/SUMMARY OF THE SCHEME This section shall include the following: Investment objective Liquidity Benchmark Transparency/NAV Disclosure Loads Minimum Application Amount (Highlights/summary of the scheme, irrespective of whether they appear on the Cover Page or not, shall make a specific disclosure in case of assured return schemes 48 regarding the guarantee given either by the AMC or by the Sponsor to distribute income at the assured rate, and to redeem the capital invested, to the unit holder. This statement shall be in bold, legible fonts.) I. INTRODUCTION RISK FACTORS Standard Risk Factors: Investment in Mutual Fund Units involves investment risks such as trading volumes, settlement risk, liquidity risk, default risk including the possible loss of principal. As the price / value / interest rates of the securities in which the scheme invests fluctuates, the value of your investment in the scheme may go up or down (Mutual Funds may also provide factors affecting capital market in general and not limited to the aforesaid) Past performance of the Sponsor/AMC/Mutual Fund does not guarantee future performance of the scheme. The name of the scheme does not in any manner indicate either the quality of the scheme or its future prospects and returns. The sponsor is not responsible or liable for any loss resulting from the operation of the scheme beyond the initial contribution of made by it towards setting up the Fund. The present scheme is the first scheme being launched under its management. (Applicable, if the AMC has no previous experience in managing a Mutual Fund). The present scheme is not a guaranteed or assured return scheme (applicable to all schemes except assured return schemes) Scheme Specific Risk Factors Schemes investing in Equities - Describe briefly risks associated with investment in equity 48 SEBI Circular No - IIMARP/MF/Cir/07/844/97 dated May 5,

81 Schemes investing in Bonds Describe briefly risks associated with fixed income products like Credit Risk, Prepayment Risk, Liquidity Risk etc. Risks associated with Investing in Foreign Securities - (if the scheme invests in these instruments) Risks associated with Investing in Derivatives - (if the scheme invests in these instruments) Risks associated with Investing in Securitised Debt - (if the scheme invests in these instruments) Risks associated with Short Selling and Securities Lending - (if the scheme intends to participate in short selling and securities lending) B. REQUIREMENT OF MINIMUM INVESTORS IN THE SCHEME (Applicability for an open-ended scheme) The Scheme/Plan shall have a minimum of 20 investors and no single investor shall account for more than 25% of the corpus of the Scheme/Plan(s). However, if such limit is breached during the NFO of the Scheme, the Fund will endeavour to ensure that within a period of three months or the end of the succeeding calendar quarter from the close of the NFO of the Scheme, whichever is earlier, the Scheme complies with these two conditions. In case the Scheme / Plan(s) does not have a minimum of 20 investors in the stipulated period, the provisions of Regulation 39(2)(c) of the SEBI (MF) Regulations would become applicable automatically without any reference from SEBI and accordingly the Scheme / Plan(s) shall be wound up and the units would be redeemed at applicable NAV. The two conditions mentioned above shall also be complied within each subsequent calendar quarter thereafter, on an average basis, as specified by SEBI. If there is a breach of the 25% limit by any investor over the quarter, a rebalancing period of one month would be allowed and thereafter the investor who is in breach of the rule shall be given 15 days notice to redeem his exposure over the 25 % limit. Failure on the part of the said investor to redeem his exposure over the 25 % limit within the aforesaid 15 days would lead to automatic redemption by the Mutual Fund on the applicable Net Asset Value on the 15th day of the notice period. The Fund shall adhere to the requirements prescribed by SEBI from time to time in this regard. (Applicability for a Close ended scheme / Interval scheme) The Scheme(s) and individual Plan(s) under the Scheme(s) shall have a minimum of 20 investors and no single investor shall account for more than 25% of the corpus of the Scheme(s)/Plan(s). These conditions will be complied with immediately after the close of the NFO itself i.e. at the time of allotment. In case of non-fulfillment with the condition of minimum 20 investors, the Scheme(s)/Plan(s) shall be wound up in accordance with Regulation 39 (2) (c) of SEBI (MF) Regulations automatically without any reference from SEBI. In case of non-fulfillment with the condition of 25% holding by a single investor 81

82 on the date of allotment, the application to the extent of exposure in excess of the stipulated 25% limit would be liable to be rejected and the allotment would be effective only to the extent of 25% of the corpus collected. Consequently, such exposure over 25% limits will lead to refund within 6 weeks of the date of closure of the New Fund Offer. For interval scheme the aforesaid provision will be applicable at the end of NFO and specified transaction period. C. SPECIAL CONSIDERATIONS, if any D. DEFINITIONS - All terms used in the Scheme Information Document shall be defined in this Section. Instructions: i. Language and terminology used in the Scheme Information Document shall be as provided in the Regulations. Any new term if used shall be clearly defined. ii. All terms shall be used uniformly throughout the text of the Scheme Information Document e.g. the terms sale price and repurchase price shall be used uniformly to indicate offer price and bid price of units. iii. The term scheme shall be used uniformly to indicate the different schemes of a Mutual Fund. E. DUE DILIGENCE BY THE ASSET MANAGEMENT COMPANY The Asset Management Company shall confirm that a Due Diligence Certificate duly signed by the Compliance Officer/Chief Executive Officer/Managing Director/Whole time Director/Executive Director of the Asset Management Company has been submitted to SEBI, which reads as follows: It is confirmed that: (i) the draft Scheme Information Document forwarded to SEBI is in accordance with the SEBI (Mutual Funds) Regulations, 1996 and the guidelines and directives issued by SEBI from time to time. (ii) all legal requirements connected with the launching of the scheme as also the guidelines, instructions, etc., issued by the Government and any other competent authority in this behalf, have been duly complied with. (iii) the disclosures made in the Scheme Information Document are true, fair and adequate to enable the investors to make a well informed decision regarding investment in the proposed scheme. (iv) the intermediaries named in the Scheme Information Document and Statement of Additional Information are registered with SEBI and their registration is valid, as on date. II. INFORMATION ABOUT THE SCHEME A. TYPE OF THE SCHEME (open/close/interval, Equity/Debt/Income/Liquid/Balanced/ETF etc.) 82

83 B. WHAT IS THE INVESTMENT OBJECTIVE OF THE SCHEME? The scheme's investment objective and policies (including the types of securities in which it will invest) shall be clearly and concisely stated in the Scheme Information Document so that they may be readily understood by the unit holder/investor. C.HOW WILL THE SCHEME ALLOCATE ITS ASSETS? This includes asset allocation table giving the broad classification of assets and indicative exposure level in percentage terms specifying the risk profile. If the scheme's name implies that it will invest primarily in a particular type of security, or in a certain industry or industries, the scheme shall have an investment policy that requires that, under normal circumstances, at least 65 percent of the value of its total assets be invested in the indicated type of security or industry. The asset allocation should be consistent with the investment objective of the scheme. Instruments Indicative allocations (% of total assets) Maximum Minimum Risk Profile High/Medium/Low Percentage of investment in foreign securities, derivatives, stock lending, securitized debt etc. to be indicated. D.WHERE WILL THE SCHEME INVEST? This includes a brief narration on the types of instruments in which the scheme will invest and the concerned regulations and limits applicable shall also be mentioned. Investment in overseas securities shall be made in accordance with the requirements stipulated by SEBI and RBI from time to time. Brief narration on the various derivative products specifying (i) the instruments to be used (ii) the applicable limits. E.WHAT ARE THE INVESTMENT STRATEGIES? Information about investment approach and risk control should be included in simple terms. In case the scheme proposes to invest in derivatives, disclosures on the various strategies to be adopted by the fund manager shall be made. In case of assured return schemes, the Scheme Information Document shall disclose: 1. how many schemes have assured returns, their number and corpus size; 2. the justification as to how the net worth and liquidity position of the guarantor would be adequate to meet the shortfall in these schemes; 3. details of the schemes which did not pay assured returns in the past and how the shortfall was met. Further, Portfolio turnover policy, particularly for equity oriented schemes shall also be disclosed. In discussing the investment strategies, the scheme shall briefly discuss in the Scheme Information Document the probable effect of such strategies on the rate of the total portfolio turnover of the scheme, if such effects are significant and also other 83

84 consequences which will result from the higher portfolio turnover rate e.g. higher brokerage and transaction cost. F: FUNDAMENTAL ATTRIBUTES Following are the Fundamental Attributes of the scheme, in terms of Regulation 18 (15A) of the SEBI (MF) Regulations: (i) Type of a scheme o Open ended/close ended/interval scheme o Sectoral Fund/Equity Fund/Balance Fund/Income Fund/Index Fund/Any other type of Fund (ii) Investment Objective o o Main Objective - Growth/Income/Both. Investment pattern - The tentative Equity/Debt/Money Market portfolio break-up with minimum and maximum asset allocation, while retaining the option to alter the asset allocation for a short term period on defensive considerations. (iii) Terms of Issue o o o Liquidity provisions such as listing, repurchase, redemption. Aggregate fees and expenses charged to the scheme. Any safety net or guarantee provided. In accordance with Regulation 18(15A) of the SEBI (MF) Regulations, the Trustees shall ensure that no change in the fundamental attributes of the Scheme(s) and the Plan(s) / Option(s) thereunder or the trust or fee and expenses payable or any other change which would modify the Scheme(s) and the Plan(s) / Option(s) thereunder and affect the interests of Unitholders is carried out unless: A written communication about the proposed change is sent to each Unitholder and an advertisement is given in one English daily newspaper having nationwide circulation as well as in a newspaper published in the language of the region where the Head Office of the Mutual Fund is situated; and The Unitholders are given an option for a period of 30 days to exit at the prevailing Net Asset Value without any exit load. Instruction It shall be ensured that the advertisement is published and written communication is dispatched appropriately in advance of the commencement of 30 days period. G. HOW WILL THE SCHEME BENCHMARK ITS PERFORMANCE? The name and the justification (specific to the scheme objective) for the use of benchmark index with which the performance of the scheme can be compared with. H. WHO MANAGES THE SCHEME? Name, age, qualification and experience of the fund manager to the scheme to be disclosed. The experience of the fund manager should include last 10 years experience and also the name of other schemes under his /her management. 84

85 I. WHAT ARE THE INVESTMENT RESTRICTIONS? All the investment restrictions as contained in the Seventh Schedule to SEBI (Mutual Funds) Regulations, 1996 and applicable to the scheme should be incorporated. Further in case the fund follows any internal norms vis-à-vis limiting exposure to a particular scrip or sector, etc. apart from the aforementioned investment restrictions the same needs to be disclosed In case of equity schemes disclose only equity related investment restriction though the scheme would be investing a portion of the assets in bonds for liquidity or for other purposes. In case of fixed income/debt schemes disclose only the investment restriction applicable to bonds. In case of balanced schemes all investment restrictions are to be disclosed. J. HOW HAS THE SCHEME PERFORMED? [In case of a new scheme, this is not applicable hence give the statement- This scheme is a new Compounded Annualised Returns Returns for the last 1 year Returns for the last 3 years Returns for the last 5 years Returns since inception Scheme Returns % Benchmark Returns % scheme returns % benchmark returns % a-b b-c c-d d-e e-f Last 5 financial years 85

86 scheme and does not have any performance Absolute Returns for each financial year for the last 5 years track record ] Or [In case of a scheme in existence, the return figures shall be given for that scheme only, as per the For a scheme which is in existence for more than 1 year, the returns given will be Compounded Annualised Returns and for scheme which is in existence for less than 1 year, the returns would be absolute returns since inception. Absolute returns for each financial year for the last 5 years shall be represented by means of a bar diagram as per the adjacent format.] scheme returns % benchmark returns % a-b b-c c-d d-e e-f Last 5 financial years III. UNITS AND OFFER This section provides details you need to know for investing in the scheme. A. NEW FUND OFFER (NFO) New Fund Offer Period This is the period during which a new scheme sells its units to the investors. New Fund Offer Price: NFO opens on: NFO closes on: (mention provision, if any, for extension and/or early closure) This is the price per unit that the investors have to pay to invest during the NFO. Minimum Amount for Application in the NFO 86

87 Minimum Target amount Rs. This is the minimum amount required to operate the scheme and if this is not collected during the NFO period, then all the investors would be refunded the amount invested without any return. However, if AMC fails to refund the amount within 6 weeks, interest as specified by SEBI (currently 15% p.a.) will be paid to the investors from the expiry of six weeks from the date of closure of the subscription period. Maximum Amount to be raised (if any) Rs. This is the maximum amount which can be collected during the NFO period, as decided by the AMC. Plans / Options offered Dividend Policy Allotment Refund Who can invest This is an indicative list and you are requested to consult your financial advisor to ascertain whether the scheme is suitable to your risk profile. Where can you submit the filled up applications. How to Apply Listing Special Products / facilities available during the NFO The policy regarding reissue of repurchased units, including the maximum extent, the manner of Dividend, Growth, Bonus etc. Mention, the procedure for allotment and dispatch of account statements/unit certificates. Indicate the time period. If application is rejected, full amount will be refunded within 6 weeks of closure of NFO. If refunded later than 6 weeks, 15% p.a. for delay period will be paid and charged to the AMC. Mention category of applicants, who are eligible to invest in the scheme. The AMC may also want to mention if there are any specific categories who are prohibited from investing in the scheme. Provide name, address and contact no. of Registrar and Transfer Agent (R&T), id of R&T, website address of R&T, official points of acceptance, collecting banker details etc. on back cover page. Please refer to the SAI and Application form for the instructions. Mention, if applicable, the name of the Stock Exchange and the time frame by which the listing will be done. Briefly describe the facilities/products available. Facilities like: Systematic Investment Plan Systematic Transfer Plan Systematic Withdrawal Plan 87

88 reissue, the entity (the scheme or the AMC) involved in the same. Restrictions, if any, on the right to freely retain or dispose of units being offered. B. ONGOING OFFER DETAILS Ongoing Offer Period This is the date from which the scheme will reopen for subscriptions/redemptions after the closure of the NFO period. Ongoing price for subscription (purchase)/switch-in (from other schemes/plans of the mutual fund) by investors. W.e.f (date) or within days of the date of Closure of the NFO. At the applicable NAV subject to prevailing entry load This is the price you need to pay for purchase/switch-in. Example: If the applicable NAV is Rs. 10, entry load is 2% then sales price will be: Rs. 10* (1+0.02) = Rs Ongoing price for redemption (sale) /switch outs (to other schemes/plans of the Mutual Fund) by investors. At the applicable NAV subject to prevailing exit load. This is the price you will receive for redemptions/switch outs. Example: If the applicable NAV is Rs. 10, exit load is 2% then redemption price will be: Rs. 10* (1-0.02) = Rs Cut off timing for subscriptions/ redemptions/ switches This is the time before which your application (complete in all respects) should reach the official points of acceptance. Where can the applications for purchase/redemption switches be submitted? Minimum amount for purchase/redemption/switches Minimum balance to be maintained and consequences of non maintenance. Special Products available Accounts Statements Provide the details of official points of acceptance, collecting banker details etc. on back cover page. Systematic Investment Plan Systematic Transfer Plan Systematic Withdrawal Plan For normal transactions (other than SIP/STP) during ongoing sales and 88

89 repurchase: The AMC shall issue to the investor whose application (other than SIP/STP) has been accepted, an account statement specifying the number of units allotted (state the service standard for the same) For those unitholders who have provided an address, the AMC will send the account statement by e- mail. The unitholder may request for a physical account statement by writing/calling the AMC/ISC/R&T. (state procedure). For SIP / STP transactions; Account Statement for SIP and STP will be despatched once every quarter ending March, June, September and December within 10 working days of the end of the respective quarter. A soft copy of the Account Statement shall be mailed to the investors under SIP/STP to their address on a monthly basis, if so mandated. However, the first Account Statement under SIP/STP shall be issued within 10 working days of the initial investment/transfer. In case of specific request received from investors, Mutual Funds shall provide the account statement (SIP/STP) to the investors within 5 working days from the receipt of such request without any charges. Annual Account Statement: The Mutual Funds shall provide the Account Statement to the Unitholders who have not transacted during the last six months prior to the date of generation of account statements. The Account Statement shall reflect the latest closing balance and value of the Units prior to the date of generation of the account statement, The account statements in such cases may be generated and issued along with the Portfolio Statement or Annual Report of the Scheme. Alternately, soft copy of the account statements shall be mailed to the investors address, instead of 89

90 Dividend Redemption Delay in payment of redemption / repurchase proceeds physical statement, if so mandated. The dividend warrants shall be dispatched to the unitholders within 30 days of the date of declaration of the dividend. The redemption or repurchase proceeds shall be dispatched to the unitholders within 10 working days from the date of redemption or repurchase. The Asset Management Company shall be liable to pay interest to the unitholders at such rate as may be specified by SEBI for the period of such delay 15% per annum). C. PERIODIC DISCLOSURES Net Asset Value This is the value per unit of the scheme on a particular day. You can ascertain the value of your investments by multiplying the NAV with your unit balance. Half yearly Disclosures: Portfolio / Financial Results This is a list of securities where the corpus of the scheme is currently invested. The market value of these investments is also stated in portfolio disclosures. Half Yearly Results The Mutual Fund shall declare the Net asset value of the scheme on every business day on AMFI s website by (time limit for uploading NAV as per applicable guidelines) and also on their website. In case of open ended schemes, the NAV shall be calculated for all business days and released to the Press. In case of closed ended schemes, the NAV shall be calculated at least once a week (on Wednesday) and released to the Press. In case of Fund of Fund and investments in foreign securities, the applicable NAV disclosure policy may be indicated. The mutual fund shall publish a complete statement of the scheme portfolio and the unaudited financial results, within one month from the close of each half year (i.e. 31 st March and 30 th September), by way of an advertisement at least, in one National English daily and one regional newspaper in the language of the region where the head office of the mutual fund is located. The mutual fund may opt to send the portfolio to all unit holders in lieu of the advertisement (if applicable). The mutual fund and Asset Management Company shall before the expiry of one month from the close of each half year that is on 31st March and on 30th September, publish its unaudited financial results in one national English daily newspaper and in a regional newspaper published in the language of the 90

91 Annual Report Associate Transactions Taxation region where the Head Office of the mutual fund is situated. Scheme wise Annual Report or an abridged summary thereof shall be mailed to all unitholders within six months from the date of closure of the relevant accounts year i..e. 31 st March each year. Please refer to Statement of Additional Information (SAI). The information is provided for general information only. However, in view of the individual nature of the implications, each investor is advised to consult his or her own tax advisors/authorised dealers with respect to the specific amount of tax and other implications arising out of his or her participation in the schemes. (mention the tax rates as per the applicable tax laws) Equity Fund Tax on Dividend Capital Gains: Long Term Short Term Resident Investors Mutual Fund Equity scheme will also attract securities transaction tax (STT) at applicable rates. For further details on taxation please refer to the clause on Taxation in the SAI Investor services Name, address and telephone number and e- mail of the contact person/grievances officer who would take care of investor queries and complaints. D. COMPUTATION OF NAV Describe briefly the policies of the Mutual Fund with regard computation of NAV of the scheme in accordance with SEBI (Mutual Funds) Regulations, Rounding off policy for NAV as per the applicable guidelines shall be disclosed. Policy on computation of NAV in case of investment in foreign securities shall be disclosed. IV. FEES AND EXPENSES This section outlines the expenses that will be charged to the schemes. 91

92 A. NEW FUND OFFER (NFO) EXPENSES These expenses are incurred for the purpose of various activities related to the NFO like sales and distribution fees paid marketing and advertising, registrar expenses, printing and stationary, bank charges etc. Details of source for meeting these expenses may be disclosed. B. ANNUAL SCHEME RECURRING EXPENSES These are the fees and expenses for operating the scheme. These expenses include Investment Management and Advisory Fee charged by the AMC, Registrar and Transfer Agents fee, marketing and selling costs etc. as given in the table below: The AMC has estimated that upto % of the weekly average net assets of the scheme will be charged to the scheme as expenses (Give slab wise break up depending on the assets under management. Give plan/option wise break up if the expense structures are different). For the actual current expenses being charged, the investor should refer to the website of the mutual fund. Particulars Investment Management & Advisory Fee Custodial Fees Registrar & Transfer Agent Fees including cost related to providing accounts statement, dividend/redemption cheques/warrants etc. Marketing & Selling Expenses including Agents Commission and statutory advertisement Brokerage & Transaction Cost pertaining to the distribution of units Audit Fees / Fees and expenses of trustees Costs related to investor communications Costs of fund transfer from location to location Other Expenses* Total Recurring Expenses Retail Plan (the name of the plan as applicable) % of Net Assets Institutional Plan (the name of the plan as applicable) (* To be specified as permitted under the Regulation 52 of SEBI (MF) Regulations) These estimates have been made in good faith as per the information available to the Investment Manager based on past experience and are subject to change inter-se. Types of expenses charged shall be as per the SEBI (MF) Regulations. (The regulatory limits on Annual Recurring Expenses and Investment Management & Advisory fees in terms of Regulation 52 shall be disclosed). The mutual fund would update the current expense ratios on the website within two working days mentioning the effective date of the change. 92

93 C. LOAD STRUCTURE Load is an amount which is paid by the investor to subscribe to the units or to redeem the units from the scheme. This amount is used by the AMC to pay commissions to the distributor and to take care of other marketing and selling expenses. Load amounts are variable and are subject to change from time to time. For the current applicable structure, please refer to the website of the AMC ( or may call at (toll free no.) or your distributor. Type of Load Load chargeable (as %age of NAV) Entry Exit * * The load on other types of transaction could be Dividend Reinvestment, Switch in/out, SIP/SWP/STP (which shall be disclosed in the table above as applicable) Load exemptions, if any: (e.g. Fund of Funds) Bonus units and units issued on reinvestment of dividends shall not be subject to entry and exit load. All loads including Contingent Deferred Sales Charge (CDSC) for the Scheme shall be maintained in a separate account and may be utilised towards meeting the selling and distribution expenses. Any surplus in this account may be credited to the scheme, whenever felt appropriate by the AMC. The investor is requested to check the prevailing load structure of the scheme before investing. For any change in load structure AMC will issue an addendum and display it on the website/investor Service Centres. Note: Wherever quantitative discounts are involved the following shall be disclosed The Mutual Fund may charge the load within the stipulated limit of 7% and without any discrimination to any specific group of unit holders. However, any change at a later stage shall not affect the existing unit holders adversely. D. WAIVER OF LOAD FOR DIRECT APPLICATIONS Disclose detailed procedure for direct applications as per the applicable SEBI guidelines in order to provide the waiver of load to the investors. V. RIGHTS OF UNITHOLDERS Please refer to SAI for details. VI. PENALTIES, PENDING LITIGATION OR PROCEEDINGS, FINDINGS OF INSPECTIONS OR INVESTIGATIONS FOR WHICH ACTION MAY HAVE BEEN TAKEN OR IS IN THE PROCESS OF BEING TAKEN BY ANY REGULATORY AUTHORITY This section shall contain the details of penalties, pending litigation, and action taken by SEBI and other regulatory and Govt. Agencies. 93

94 1. All disclosures regarding penalties and action(s) taken against foreign Sponsor(s) may be limited to the jurisdiction of the country where the principal activities (in terms of income / revenue) of the Sponsor(s) are carried out or where the headquarters of the Sponsor(s) is situated. Further, only top 10 monetary penalties during the last three years shall be disclosed. 2. In case of Indian Sponsor(s), details of all monetary penalties imposed and/ or action taken during the last three years or pending with any financial regulatory body or governmental authority, against Sponsor(s) and/ or the AMC and/ or the Board of Trustees /Trustee Company; for irregularities or for violations in the financial services sector, or for defaults with respect to share holders or debenture holders and depositors, or for economic offences, or for violation of securities law. Details of settlement, if any, arrived at with the aforesaid authorities during the last three years shall also be disclosed. 3. Details of all enforcement actions taken by SEBI in the last three years and/ or pending with SEBI for the violation of SEBI Act, 1992 and Rules and Regulations framed there under including debarment and/ or suspension and/ or cancellation and/ or imposition of monetary penalty/adjudication/enquiry proceedings, if any, to which the Sponsor(s) and/ or the AMC and/ or the Board of Trustees /Trustee Company and/ or any of the directors and/ or key personnel (especially the fund managers) of the AMC and Trustee Company were/ are a party. The details of the violation shall also be disclosed. 4. Any pending material civil or criminal litigation incidental to the business of the Mutual Fund to which the Sponsor(s) and/ or the AMC and/ or the Board of Trustees /Trustee Company and/ or any of the directors and/ or key personnel are a party should also be disclosed separately. 5. Any deficiency in the systems and operations of the Sponsor(s) and/ or the AMC and/ or the Board of Trustees/Trustee Company which SEBI has specifically advised to be disclosed in the SID, or which has been notified by any other regulatory agency, shall be disclosed. Notwithstanding anything contained in this Scheme Information Document, the provisions of the SEBI (Mutual Funds) Regulations, 1996 and the guidelines there under shall be applicable. 94

95 B. STATEMENT OF ADDITIONAL INFORMATION (SAI) This Statement of Additional Information (SAI) contains details of Mutual Fund, its constitution, and certain tax, legal and general information. It is incorporated by reference (is legally a part of the Scheme Information Document). This SAI is dated. I. INFORMATION ABOUT SPONSOR, AMC AND TRUSTEE COMPANIES A. Constitution of the Mutual Fund ABC (the Mutual Fund ) has been constituted as a trust on in accordance with the provisions of the Indian Trusts Act, 1882 (2 of 1882) with XYZ, as the Sponsor and DEF as the Trustee. The Trust Deed has been registered under the Indian Registration Act, The Mutual Fund was registered with SEBI on under Registration Code MF- B. Sponsor ABC Mutual Fund is sponsored by XYZ. The Sponsor is the Settler of the Mutual Fund Trust. The Sponsor has entrusted a sum of Rs. to the Trustee as the initial contribution towards the corpus of the Mutual Fund. Financial Performance of the Sponsor (past three years): Particulars Year 1 Year 2 Year 3 Net Worth Total Income Profit after tax Assets Under Management (if applicable) C. The Trustee DEF (the Trustee ), through its Board of Directors, shall discharge its obligations as trustee of the ABC Mutual Fund. The Trustee ensures that the transactions entered into by the AMC are in accordance with the SEBI Regulations and will also review the activities carried on by the AMC. Details of Trustee Directors: Name Age/Qualification Brief Experience PQR 45/CA PQR is a fellow member of the Institute of Chartered Accountant and is in practice from He is a Senior Partner with a firm of Chartered Accountants in India. He is also a director on the Board of various companies and trustee of charitable institutions State the responsibilities and duties of the Trustee as well as the specific and general due diligence. 95

96 D. Asset Management Company STP Ltd. is a private limited company incorporated under the Companies Act, 1956 on, having its Registered Office at. STP Ltd. has been appointed as the Asset Management Company of the Mutual Fund by the Trustee vide Investment Management Agreement (IMA) dated, and executed between DEF and STP. Details of AMC Directors: Name Age/Qualification Brief Experience UVT 45/CA UVT is a fellow member of the Institute of Chartered Accountant and is in practice from He is a Senior Partner with a firm of Chartered Accountants in India. He is also a director on the Board of various companies and trustee of charitable institutions State the Duties and obligation of the AMC as specified in the SEBI Mutual Fund Regulations on Information on Key Personnel: Name/Designation Age/Qualification Brief Experience CEO CIO Operations Head Compliance Officer Sales Head Risk Manager Investor Relations Officer (The AMC may decide on the key personnel it wants to mention in the SAI in addition to the persons mentioned above.) E. Service providers Custodian Name, Address and SEBI Registration Number of the Custodian for the scheme Transfer agent Name and principal business address of the Registrars, Transfer Agents and the dividend paying agent. A statement to the effect that the Board of the Trustees and the AMC have ensured that the Registrar has adequate capacity to discharge responsibilities with regard to processing of applications and dispatching unit certificates to unitholders within the time limit prescribed in the Regulations and also has sufficient capacity to handle investor complaints. Also state the SEBI Registration Number of Registrars, Transfer Agents. Statutory auditor Name and Address of the statutory auditor for Mutual Fund. Legal counsel Name and Address of the Legal Counsel Fund Accountant 96

97 Name and Address of the fund accountant Collecting Bankers Name, Address and SEBI Registration Number F. Condensed financial information (CFI) for all the schemes launched by MF during the last three fiscal years (excluding redeemed schemes) in the format given below: HISTORICAL PER UNIT STATISTICS SCHEME NAME YR. 1 YR. 2 YR. 3 NAV at the beginning of the year (as on April 1) Dividends* NAV at the end of the year (as on March 31) Annualised return** Net Assets end of period (Rs. Crs.) Ratio of Recurring Expenses to net assets * Excluding dividend details of liquid scheme. ** Only for growth option. Explanation to be given for not providing annualised return for options other than growth option. Absolute returns to be provided for schemes less than one year. III. HOW TO APPLY? Describe briefly the manner in which the units of the scheme being offered under the scheme information document may be purchased by the prospective investor. The descriptions should emphasise the procedures to be followed. Also provide the details of KYC requirement for unit holders. IV. RIGHTS OF UNITHOLDERS OF THE SCHEME 1. Unit holders of the Scheme have a proportionate right in the beneficial ownership of the assets of the Scheme. 2. When the Mutual Fund declares a dividend under the Scheme, the dividend warrants shall be despatched within 30 days of the declaration of the dividend. Account Statement reflecting the new or additional subscription as well as Redemption / Switch of Units shall be despatched to the Unit holder within 10 business days of the Specified Redemption Date. Provided if a Unit holder so desires the Mutual Fund shall issue a Unit certificate (non- transferable) within 30 days of the receipt of request for the certificate. 3. The Mutual Fund shall dispatch Redemption proceeds within 10 Business Days of receiving the Redemption request. 4. The Trustee is bound to make such disclosures to the Unit holders as are essential in order to keep the unitholders informed about any information 97

98 known to the Trustee which may have a material adverse bearing on their investments. 5. The appointment of the AMC for the Mutual Fund can be terminated by majority of the Directors of the Trustee Board or by 75% of the Unit holders of the Scheme % of the Unit holders of a Scheme can pass a resolution to wind- up a Scheme. 7. The Trustee shall obtain the consent of the Unit holders: - whenever required to do so by SEBI, in the interest of the Unit holders. - whenever required to do so if a requisition is made by three- fourths of the Unit holders of the Scheme. - when the Trustee decides to wind up the Scheme or prematurely redeem the Units. - The Trustee shall ensure that no change in the fundamental attributes of any Scheme or the trust or fees and expenses payable or any other change which would modify the Scheme and affects the interest of Unit holders, shall be carried out unless : (i) a written communication about the proposed change is sent to each Unit holder and anadvertisement is given in one English daily newspaper having nationwide circulation as well as in a newspaper published in the language of the region where the Head Office of the Mutual Fund is situated; and (ii) the Unit holders are given an option to exit at the prevailing Net Asset Value without any Exit Load. 9. In specific circumstances, where the approval of unitholders is sought on any matter, the same shall be obtained by way of a postal ballot or such other means as may be approved by SEBI. V. INVESTMENT VALUATION NORMS FOR SECURITIES AND OTHER ASSETS This section shall disclose the Valuation of Assets and properties of the scheme in accordance with Eighth Schedule of Regulation 47 of SEBI (Mutual Funds) Regulations, 1996 and applicable guidelines. Real Estate Mutual Fund Schemes shall disclose Valuation of Assets and properties of the scheme in accordance with Schedule IXB of Regulation 49 (F) (1) of SEBI (Mutual Funds) Regulations, 1996 and applicable guidelines. V. TAX & LEGAL & GENERAL INFORMATION A. Taxation on investing in Mutual Funds This section shall disclose the applicable tax provisions for Mutual Fund and for investments in Mutual Fund scheme. B. Legal Information This section may include information on Nomination Facility, KYC Requirements, Requirements of Prevention of Money Laundering Act, Transfer and transmission of units, Duration of the scheme/winding up, Procedure and manner of winding up etc. 98

99 C. General Information In addition to the following,, this section may include information on Underwriting, Securities Lending and Borrowing by the Mutual Funds etc.: Inter-Scheme Transfer of Investments: Transfers of investments from one scheme to another scheme in the same mutual fund shall be allowed only if - (a) such transfers are done at the prevailing market price for quoted instruments on spot basis. Explanation : spot basis shall have same meaning as specified by stock exchange for spot transactions. (b) the securities so transferred shall be in conformity with the investment objective of the scheme to which such transfer has been made. Associate Transactions The following disclosures, summarising historical information pertaining to the last three fiscal years of the schemes of the Mutual Fund under the management of the Asset Management Company reflecting associate transactions and the manner in which such transactions affected the performance of schemes of the Mutual Fund should be made. The disclosures shall include any underwriting obligations undertaken by the schemes of the Mutual Fund with respect to issues of associate companies, devolvement if any, of such commitments, subscription by the schemes in issues lead managed by associate companies, total business given to associate brokers and the percentage of brokerage commission paid to them and any distribution of units performed by associate companies. This section shall also disclose: (a) the policy for investing in group companies of the sponsor of a Mutual Fund that is followed/to be followed by the Mutual Fund, including the aggregate market value of investments in group companies of the Sponsor and asset Management Company by all the schemes of the Mutual Fund and its percentage of the aggregate net asset value of the Mutual Fund, (b) in case any scheme of the Mutual Fund has invested more than 25% of its net assets in group companies, this shall be disclosed. (c) names of associates of the Sponsor or the Asset Management Company with which the Mutual Fund proposes to have dealings, transactions and those whose services may be used for marketing and distributing the scheme and the commissions that may be paid to them. Documents Available for Inspection The following documents will be available for inspection at the office of the Mutual Fund at during business hours on any day (excluding Saturdays, Sundays and public holidays): Memorandum and Articles of Association of the AMC Investment Management Agreement Trust Deed and amendments thereto, if any Mutual Fund Registration Certificate 99

100 Agreement between the Mutual Fund and the Custodian Agreement with Registrar and Share Transfer Agents Consent of Auditors to act in the said capacity Consent of Legal Advisors to act in the said capacity Securities and Exchange Board of India (Mutual Funds) Regulations, 1996 and amendments from time to time thereto. Indian Trusts Act, Investor Grievances Redressal Mechanism Describe briefly the investors' complaints history for the last three fiscal years of existing schemes and the redressal mechanism thereof. The SAI should include data updated every two months on the number of complaints received, redressed and pending with the Mutual Fund. Notwithstanding anything contained in this Statement of Additional Information, the provisions of the SEBI (Mutual Funds) Regulations, 1996 and the guidelines thereunder shall be applicable. ***** Instruction: A Mutual Fund is free to add any other disclosure, which in the opinion of the Trustees of the Mutual Fund (Trustees) or the Asset Management Company (AMC) is material, provided that such information is not presented in an incomplete, inaccurate or misleading manner. Care should be taken to ensure that inclusion of such information does not, by virtue of its nature, or manner of presentation, obscure or impede understanding of any information that is required to be included under the Scheme Information Document and Statement of Additional Information. Note: The wording in italics is explanatory commentary/instructions. The words in Arial font are the text to be used in the Statement of Additional Information, as applicable. 100

101 C. KEY INFORMATION MEMORANDUM (KIM) 49 Name of AMC & MF KEY INFORMATION MEMORANDUM Scheme ( ) (Type of scheme) Offer for Units of Rs. -- Per Unit for cash during the New fund Offer Period and at NAV based prices upon re-opening New Fund Offer Opens on: New Fund Offer Closes on: Scheme Re-opens for continuous sale and repurchase on: This Key Information Memorandum (KIM) sets forth the information, which a prospective investor ought to know before investing. For further details of the scheme/mutual Fund, due diligence certificate by the AMC, Key Personnel, investors rights & services, risk factors, penalties & pending litigations etc. investors should, before investment, refer to the Scheme Information Document and Statement of Additional Information available free of cost at any of the Investor Service Centres or distributors or from the website www The Scheme particulars have been prepared in accordance with Securities and Exchange Board of India (Mutual Funds) Regulations 1996, as amended till date, and filed with Securities and Exchange Board of India (SEBI). The units being offered for public subscription have not been approved or disapproved by SEBI, nor has SEBI certified the accuracy or adequacy of this KIM. Investment Objective Asset Allocation Pattern of the scheme Types of Instruments Normal Allocation (% of Net Assets) Risk Profile of the Scheme Plans and Options Applicable NAV (after the scheme opens for repurchase and sale) Mutual Fund Units involve investment risks including the possible loss of principal. Please read the SID carefully for details on risk factors before investment. Scheme specific Risk Factors are summarized below: 49 SEBI/IMD/CIR No. 5/126096/08 dated May 23,

102 Minimum Application Amount/ Number of Units Despatch of Repurchase (Redemption) Request Benchmark Index Dividend Policy Name of the Fund Manager Name of the Trustee Company Performance of the scheme : [In case of a new scheme, the statement should be given This scheme does not have any performance track record ] Or [In case of a scheme in existence, the return figures shall be given for that scheme only, as per the For a scheme which is in existence for more than 1 year, the returns given will be Compounded Annualised Returns and for scheme which is in existence for less than 1 year, the returns would be absolute returns since inception. Purchase Additional Purchase Repurchase Within 10 working days of the receipt of the redemption request at the authorised centre of the Fund. Compounded Annualised Returns Returns for the last 1 year Returns for the last 3 years Returns for the last 5 years Returns since inception Scheme Returns % Benchmark Returns % Absolute Returns for each financial year for the last 5 years scheme returns % benchmark returns % return a-b b-c c-d d-e e-f Last 5 financial years Absolute returns for each financial year for the last 5 years shall be represented by means of a bar diagram as per the adjacent format.] Expenses of the Scheme (i) Load Structure New Fund Offer Period Entry load : Exit load : CDSC (if any): Continuous Offer Entry load : Exit load : CDSC (if any): 102

103 (ii) Recurring expenses Waiver of Load for Direct Applications Tax treatment for the Investors (Unitholders) Daily Net Asset Value (NAV) Publication For Investor Grievances please contact Unitholders Information First Rs. 100 crores of the average weekly net assets : Next Rs. 300 crores of the average weekly net assets : Next Rs. 300 crores of the average weekly net assets : Balance : Actual expenses for the previous financial year: (Not Applicable in case of a new scheme) The applicable procedure should be given in brief. Investor will be advised to refer to the details in the Statement of Additional Information and also independently refer to his tax advisor. The NAV will be declared on all days and will be published in 2 newspapers. NAV can also be viewed on www. and [You can also telephone us at (optional)]. Name and Address of Registrar Name, address, telephone number, fax number, i.d Give the frequency and the policy of the fund house for the providing the Accounts Statement, Annual Financial results and Half yearly portfolio to the investors. Date: N.B. Data and information shall be up-to-date but in no case older than 30 days from the date of KIM 103

104 6. STANDARD OBSERVATIONS 50 A. STANDARD OBSERVATIONS FOR SCHEME INFORMATION DOCUMENT (SID) B. STANDARD OBSERVATIONS FOR STATEMENT OF ADDITIONAL INFORMATION (SAI) 50 SEBI/IMD/CIR No. 5/126096/08 dated May 23,

105 A. STANDARD OBSERVATION FOR SCHEME INFORMATION DOCUMENT (SID) While filing the Statement of Additional Information (SAI) and the Scheme Information Document (SID) for launching a new scheme / revising and filing existing SAI and SID with SEBI, the mutual funds should highlight and clearly mention the page number of the SAI and SID on which each of the following observation has been incorporated. In case of any amendment to Regulations, the new provisions should be incorporated in the SAI / SID. STANDARD OBSERVATIONS FOR SID Standard Observation 1. The AMC shall not invest in any of the schemes unless full disclosure of its intention to invest has been made in the Scheme Information Document and that the AMC shall not be entitled to charge any fees on such investments may be disclosed. 2. All Risk Factors including general and scheme specific risk factors should appear at a single place in the Scheme Information Document instead of giving at different places. 3. In case the mutual fund intends to invest in ADRs/GDRs and foreign securities, the risk factors associated with such investments including currency risk should be disclosed. 4. If the scheme proposes to invest in securitised debt, the table on investment pattern should disclose the maximum limit up to which such investment in securitised debt would be made. 5. In case the mutual fund intends to trade in derivatives, the strategies and risks associated with such activities should be disclosed at relevant places in the Scheme Information Document. The Scheme Information Document shall contain disclosures as communicated vide our circular no. DNPD/Cir-29/2005 dated September 14, 2005 Remar ks Following risk factor pertaining to investments in derivatives may also be given (except in case where the scheme is investing in derivatives for only for the purpose of hedging and portfolio rebalancing): Derivative products are leveraged instruments and can provide disproportionate gains as well as disproportionate losses to the investor. Execution of such strategies depends upon the ability of the fund manager to identify such opportunities. Identification and execution of the strategies to be pursued by the fund manager involve uncertainty and decision of fund manager may not always be profitable. No assurance can be given that the fund manager will be able to identify or execute such strategies. The risks associated with the use of derivatives are different from or possibly greater than, the risks associated with investing directly in securities and other traditional investments. Mention clearly specific risk factors pertaining to derivative strategies. 6. In case the mutual fund intends to engage in stock lending/short selling, concepts and risks associated with stock lending/short selling shall be provided as per the applicable guidelines. 7. A note of the investment strategy followed for the scheme shall be given in the Scheme Information Document. 8. The fundamental attributes of the scheme shall be disclosed in the Scheme Information Document. The note shall also include the steps to be followed by the Trustee for change in fundamental attributes, as required by the SEBI regulations. The trustees shall ensure that no change in the fundamental attributes of any scheme or the trust or fees and expenses payable or any other change which would modify the scheme and 105

106 Standard Observation affects the interest of the unitholders, shall be carried out unless, (i) a written communication about the proposed change is sent to each unitholder and an advertisement is given in one English daily newspaper having nationwide circulation as well as in a newspaper published in the language of the region where the Head Office of the mutual fund is situated; and (ii) the unitholders are given an option to exit at the prevailing Net Asset Value without any exit load. 9. The name(s) of index/indices with which the AMC and trustees would compare the performance of the scheme should be disclosed. The benchmark index/indices may be chosen on the basis of the investment pattern/objective of the scheme and the composition of the index, as approved by the Boards of AMC and trustees 10. The details pertaining to the fund manager of the scheme shall inter-alia include the age of the person, educational qualification, total number of years' experience, type and nature of past experience including assignments held during the last 10 years, etc. 11. All the investment restrictions under SEBI (Mutual Funds) Regulations, 1996 and applicable to the scheme should be incorporated. 12. In case the scheme intends to invest substantially in debt and/or money market instruments, one para highlighting the features of Debt Market and Instruments available may also be included alongside the asset allocation. 13. Clarify whether, apart from the investment restrictions prescribed under SEBI (MF) Regulations, does the fund follow any internal norms vis-à-vis limiting exposure to a particular scrip or sector, etc. 14. Indicate the asset allocation pattern under normal circumstances and to what extent that would be allowed to rise or fall before a review and rebalancing would be called for. From the disclosures, prospective investors should be able to gather an idea on the investment strategy of a scheme at any point of time. 15. The Scheme Information Document shall Indicate the types of securities / instruments in which the scheme would invest and a brief narration on the same. 16. Any imposition or enhancement in the load shall be applicable on prospective investments only. However, AMC shall not charge any load on issue of bonus units and units allotted on reinvestment of dividend for existing as well as prospective investors. At the time of changing the load structure, the mutual funds may consider the following measures to avoid complaints from investors about investment in the schemes without knowing the loads: (i) The addendum detailing the changes may be attached to Scheme Information Documents and key information memorandum. The addendum may be circulated to all the distributors/brokers so that the same can be attached to all Scheme Information Documents and key information memoranda already in stock. (ii) Arrangements may be made to display the addendum in the Scheme Information Document in the form of a notice in all the investor service centres and distributors/brokers office. (iii) The introduction of the exit load/ CDSC alongwith the details may be stamped in the acknowledgement slip issued to the investors on submission of the application form and may also be disclosed in the statement of accounts issued after the introduction of such load/cdsc. (iv) A public notice shall be given in respect of such changes in one English daily newspaper having nationwide circulation as well as in a newspaper published in the language of region where the Head Office of the Mutual Fund is situated. (v) Any other measures which the mutual funds may feel necessary. 17. NAV Information/ Sale and Repurchase price: a) Disclosure to the effect that NAV shall be published at least in two daily newspapers at intervals of not exceeding one week in case of close ended schemes and on daily basis in case of open ended schemes (alongwith sale and repurchase prices). b) Disclosure to the effect that the repurchase price shall not be lower than 93% of the NAV and the sale price shall not be higher than 107% of the NAV and the difference between the repurchase price and sale price shall not exceed 7% on the sale price. In the case of close-ended scheme the repurchase price shall not be lower than 95% of the NAV. 18. SID shall disclose the number of days within which the statement shall be dispatched to the unitholders who subscribe to the units when the scheme is open for continuous subscription Remar ks 106

107 Standard Observation after NFO as per the applicable guidelines. 19. Disclosure to the effect that it shall be mandatory for the investors of mutual fund schemes to mention their bank account numbers in their applications/requests for redemption. 20. Disclosure on Pending Penalties and Pending Litigations shall be provided as per the relevant clause as prescribed in the SID format. 21. The Scheme Information Document shall have no clause, which in effect limits the jurisdiction for settlement of claims of the investors to a specific place/region. 22. A statement should be incorporated on the last page of the Scheme Information Document as follows "Notwithstanding anything contained in the Scheme Information Document the provisions of the SEBI (Mutual Funds) Regulations, 1996 and the Guidelines thereunder shall be applicable." 23. All information in the Scheme Information Document and KIM shall be updated, considering the above observations, 30 days before the launch of the scheme. 24. You are required to give a due diligence certificate stating that the draft Scheme Information Document is in accordance with the SEBI (Mutual Funds) Regulations. You are again advised to specifically confirm whether there are any deviations from the regulations or whether subjective interpretations have been applied to the provisions of the regulations or where the AMC feels that any matter is required to be brought to the notice of SEBI. Remar ks Further you are also advised to confirm that the contents of the SID including figures, data, yields, etc. have been checked and are factually correct. 25. Trustees shall provide certification as required under circular SEBI/IMD/CIR No. 5/ /06 dated June 30, The schemes are required to be approved by the trustees. While approving the scheme, the trustees may also review the systems, adequacy of key personnel, compliance mechanism, etc. as required under Regulation 18 (4). A letter from the Trustees should be submitted while filing a new Scheme Information Document, confirming that the trustees have ensured that the asset management company complies with the requirements of Regulation 18(4). 107

108 B. STANDARD OBSERVATIONS FOR STATEMENT OF ADDITIONAL INFORMATION (SAI) STANDARD OBSERVATIONS FOR SAI Standard Observation 1. If the AMC is undertaking other business activities as provided in Regulation 24(2) brief details of the same giving SEBI registration particulars, if applicable, and certification that there is no conflict of interest. 2. The details of sponsor shall also include a brief note on their activities. 3. The details pertaining to the key personnel of the AMC shall inter-alia include the age of the person, educational qualification, total number of years' experience, type and nature of past experience including assignments held during the last 10 years, etc. The number of persons involved in equity research and fund management and their past experience must be mentioned. If any of the key personnel is based elsewhere and not in the registered/corporate office of the AMC, must be disclosed. 4. The detailed procedures followed for investment decisions, whether an individual or committee takes decisions, role of chief executive of AMC in investment decisions, recording of the each investment decision, how these decisions and performance of schemes are monitored by the AMC Board and the trustees, should be explained by way of a separate paragraph in the Statement of Additional Information. 5. A brief note on the supervisory role performed by the Trustees, the number of meetings held during the last year, systems set up by the trustees for monitoring the activities of the AMC. 6. Disclosure that no amendments to the trust deed shall be carried out without the prior approval of SEBI and unitholders approval would be obtained where it affects the interests of unitholder. 7. Share holding pattern of the AMC specifying the percentage holding of various groups/companies. 8. The appointment of the AMC can be terminated by majority of the trustees or by seventy five percent of the unitholders of the scheme. 9. The despatch of dividend warrants shall be made within 30 days of the declaration of the dividend and despatch of redemption or repurchase proceeds shall be made within 10 working days from the date of redemption or repurchase. 10. Suspension or restriction of repurchase / redemption facility under any scheme of the mutual fund shall be made applicable only after the approval from the Board of Directors of the Asset Management Company and the Trustees. The approval from the AMC Board and the Trustees giving details of circumstances and justification for the proposed action shall also be informed to SEBI in advance. 11. If the work relating to transfer of units is processed in-house, disclosure that the charges are at competitive rates and if the rates are higher, reasons for charging higher rates should be disclosed. 12. Disclosure as to the procedure for seeking approval of the unitholders in specified circumstances. 13. The SAI shall fully disclose the fund s policy for dealing with unclaimed redemption amounts in line with SEBI Circular No. MFD/CIR/ 9 /120 /2000 dated 24/11/ The disclosure in respect of tax benefits to the mutual fund and the unit holders shall be in accordance with prevailing tax laws. 15. The SAI shall have no clause, which in effect limits the jurisdiction for settlement of claims of the investors to a specific place/region. 16. The application inviting subscription to the scheme should mention about the availability of the facility of Multiple nominations and how the same can be availed. Necessary details in this regard may also be disclosed in the SAI. 17. The table on Condensed Financial Information shall be provided as per the relevant clause as prescribed in the SAI format. 18. A statement should be incorporated on the last page of the Statement of Additional Information as follows "Notwithstanding anything contained in the Statement of Additional Remarks 108

109 Standard Observation Information the provisions of the SEBI (Mutual Funds) Regulations, 1996 and the Guidelines thereunder shall be applicable." Remarks 109

110 7. Brokerage and Commission paid to Associates 110

111 Brokerage paid to associates/related parties/group companies of Sponsor/AMC 51 Name of associate /related parties/ group companies of Sponsor/ AMC Nature of Association/ Nature of relation Period covered * Value of transaction ( in Rs. Cr. & % of total value of transaction of the fund ) Brokerage (Rs Cr & % of total brokerage paid by the fund) Commission paid to associates/related parties/group companies of sponsor/amc Name of associate /related parties/ group companies of Sponsor/ AMC Nature of Association/ Nature of relation Period covered * Business given (Rs. Cr. & % of total business received by the fund) Commission paid ( Rs & % of total commission paid by the fund) * The period covered shall be as following: SAI - Past three financial years including the current year Half Yearly Unaudited Financial Results Current half year and previous half year Abridged Scheme wise Annual Report Current year and previous year The disclosures for the aforementioned period shall be furnished for each period in separate tables. 51 SEBI/IMD/CIR No 18 / /2010 dated March 15,

112 8. Role of Mutual Funds in Corporate Governance of Public Listed Companies SEBI/IMD/CIR No 18 / /2010 dated March 15,

113 Management Proposals Date Type of Meeting (AGM / EGM) Proposal Management Recommendation Vote (For / Against / Abstain) Shareholder Proposals Date Type of Meeting (AGM / EGM) Proposal Management Recommendation Vote (For / Against / Abstain) 113

114 9. Disclosure of investor complaints with respect to Mutual Funds 114

115 Redressal of Complaints received against Mutual Funds (MFs) during 20xx-xx: (In excel sheet) 53 Name of Mutual Fund and total number of folios Comp laint code I A I B I C I D II A II B II C Type of complaint # Non receipt of Dividend on Units Interest on delayed payment of Dividend Non receipt of Redemptio n Proceeds Interest on delayed payment of Redemptio n Non receipt of Statement of Account/ Unit Certificate Discrepan cy in Statement of Account Non receipt of Annual (a) No. of compl aints pendi ng at the begin ning of the year (b) No of compl aints receiv ed durin g the year With in 30 days Action on (a) and (b) Resolved Non Action able* da ys day s Bey ond 180 day s 0-3 mont hs Pending 3-6 mo nth s 6-9 mo nth s 9-12 mo nth s 53 SEBI Cir no Cir/IMD/DF/2/2010 dated May 13,

116 Report/Ab ridged Summary III A III B III C III D III E IV Wrong switch between Schemes Unauthori zed switch between Schemes Deviation from Scheme attributes Wrong or excess charges/lo ad Non updation of changes viz. address, PAN, bank details, nominatio n, etc Others TOTAL # including against its authorized persons/ distributors/ employees. etc. *Non actionable means the complaint that are incomplete / outside the scope of the mutual fund Classification of complaints TYPE I I A I B I C I D TYPE II II A II B II C TYPE III III A Type of Complaint Delay/Non-receipt of money Dividend on Units Interest on delayed payment of Dividend Redemption Proceeds Interest on delayed payment of Redemption Statement of Account/Unit Certificate/Annual Report Non receipt of Statement of Account/Unit Certificate Discrepancy in Statement of Account Non receipt of Annual Report/Abridged Summary Service related Wrong switch between Schemes 116

117 III B III C III D III E Unauthorized switch between Schemes Deviation from Scheme attributes Wrong or excess charges/load Non updation of changes viz. address, PAN, bank details, nomination, etc TYPE IV Others 117

118 10. Format for daily data on QFI Investment in Mutual Funds SEBI circular no. CIR/ IMD /DF / 14 /2011 dated August 9,

119 Annexure 1 (Refer paras 3.4, 3.5, 3.6 and 3.7 of the circular) 55 A) QFI investments in equity schemes Date Name of the Mutual Fund Net Investment at the end of the previous business day (A) Subscription (B) Redemption (C ) Net Investment at the end of the business day (A+B-C) Amount in US $ millions Amount in Rs Crore Amount in US $ Millions Amount in Rs Crore Amount in US $ Millions Amount in Rs Crore Amount in US $ Millions Amount in Rs Crore B) QFI investments in debt schemes Date Name Net Investment at of the the end of the Mutual previous business Fund day (A) Subscription (B) Redemption (C ) Net Investment at the end of the business day (A+B-C) Amount in US $ millions Amount in Rs Crore Amount in US $ Millions Amount in Rs Crore Amount in US $ Millions Amount in Rs Crore Amount in US $ Millions Amount in Rs Crore C) Total QFI investments in equity and debt schemes Date Name of the Mutual Fund Net Investment at the end of the previous business day (A) Subscription (B) Redemption (C ) Net Investment at the end of the business day (A+B-C) Amount in US $ millions Amount in Rs Crore Amount in US $ Millions Amount in Rs Crore Amount in US $ Millions Amount in Rs Crore Amount in US $ Millions Amount in Rs Crore Mutual Funds shall report on actual receipt and payment basis (cash system) Mutual Funds shall aggregate the data received from Custodian and Depositories on a daily basis and report The RBI reference rate may used for reporting the amounts in US $. 55 SEBI circular no. CIR/ IMD /DF / 14 /2011 dated August 9,

120 11. Format for reporting of all transaction in debt and money market securities SEBI circular no. Cir/IMD/DF/6/2012 dated February 28,

121 Format for reporting of all transaction in debt and money market securities 57 S. No Na me of the Sec urit y I S I N Fund House Sche me Name Matur ity Date Resid ual days Sett lem ent typ e Tra de Dat e Valuatio n Date Settle ment Date Quant ity trade d Value of the Trade Pric e at whi ch val ued Yield at which value d Typ e of trad e *Inter-scheme/ off market trade/market trade 57 SEBI circular no. Cir/IMD/DF/6/2012 dated February 28,

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